KPMG observations
The likely deferral of Pillar One implementation does not necessarily mean the implementation of Pillar Two will be delayed as well. The OECD Secretary-General noted that it is now up to individual jurisdictions to implement the Pillar Two Model Rules into their legislation. Even with the proposed deferred timeline of Pillar Two implementation in the EU, some countries like Australia, Canada, Japan and the UK are understood to have an interest in continued adherence to the 2023 implementation timeline of Pillar Two. That said, the final implementation timetables and effective dates of the Pillar Two domestic legislation of the adopting jurisdictions remain to be seen.
As for the Hong Kong SAR (Hong Kong), the government announced in the 2022/23 Budget delivered in February this year that it plans to submit a legislative proposal to the Legislative Council in the second half of this year to implement the global minimum tax in accordance with the international consensus. The government will also consider introducing a domestic minimum top-up tax for MNE groups that fall within the scope of Pillar Two from year of assessment 2024/25. We trust in coming to the final decision on the effective dates of the global minimum tax and domestic minimum tax in Hong Kong, the government will consult the stakeholders, monitor the ongoing global developments in this area and take into account the likely Pillar Two implementation timelines in other jurisdictions.
Although there are still some uncertainties as to the implementation timetables of Pillar One and Pillar Two in both Hong Kong and other jurisdictions, in-scope MNE groups with business operations in Hong Kong should start preparing for the future changes to the Hong Kong tax system resulting from the BEPS 2.0 project and closely monitor the developments in this area. Hong Kong businesses with offshore claims on passive income such as dividends, interest and royalties also need to get prepared for the upcoming changes to the offshore regime for passive income in Hong Kong as Hong Kong will need to effect such changes by the end of this year to get off from the EU grey list for tax purposes.