Tax Treatment of Unrealised Gains and Losses in Hong Kong
The judgment of the Court of Appeal in Nice Cheer Investment Ltd (NCIL) v. Commissioner of Inland Revenue (CIR) [2012] HKCA 257 (Nice Cheer) upheld the decision by the Court of First Instance that unrealised gains on the revaluation of onshore trading investments at the balance sheet date were not taxable in Hong Kong whereas unrealised losses on the same investments in another year could be deducted. Such an asymmetrical treatment of unrealised profits and unrealised losses provides cash flow benefits to taxpayers: While tax is not paid until a gain is realised, a deduction can be claimed for an unrealised loss. Given the potential impact of the decision in Nice Cheer on tax collections, one would anticipate that the Hong Kong Inland Revenue Department (IRD) will be very cautious when handling similar claims lodged by taxpayers, especially before the Court of Final Appeal rules on this case later this year (2013)....