D7/84 ◦ The sequence in determining the taxability of interest income of an FI:  Consider s.14(1) first  If not chargeable under s.14(1), then consider s.15(1)(i) ◦ Interpretation on s.15(1)(i):  (a) if the place where the funds are made available is a factor in determining source under s.14; and  (b) if under s.14 it is decided that the interest is not subject to Hong Kong tax  Then the matter must be viewed again under s.15(1)(i) but this time the place where the funds were provided is to be disregarded as a factor in determining the source of the interest It is talking about Hong Tax, Special Business, Calculating profit tax of financial instituition, loan interest income. Can you explain above paragraph in a simple way and with simple example?

icon
Related questions
Question

D7/84 ◦ The sequence in determining the taxability of interest income of an FI:  Consider s.14(1) first  If not chargeable under s.14(1), then consider s.15(1)(i) ◦ Interpretation on s.15(1)(i):  (a) if the place where the funds are made available is a factor in determining source under s.14; and  (b) if under s.14 it is decided that the interest is not subject to Hong Kong tax  Then the matter must be viewed again under s.15(1)(i) but this time the place where the funds were provided is to be disregarded as a factor in determining the source of the interest

It is talking about Hong Tax, Special Business, Calculating profit tax of financial instituition, loan interest income. Can you explain above paragraph in a simple way and with simple example? 

AI-Generated Solution
AI-generated content may present inaccurate or offensive content that does not represent bartleby’s views.
steps

Unlock instant AI solutions

Tap the button
to generate a solution

Similar questions
  • SEE MORE QUESTIONS