Hi there,
We are a HK based company looking for a tax specialist that can help us navigate through these questions. We would like to know if you can help us and if you could, can we get a quote?
Questions:
1) What is the difference between moving our HK OpCo to be a fully owned subsidiary of our US HoldCo vs moving our Caymans company (which owns the HK OpCo) to be a fully owned subsidiary of the US HoldCo?
2) What are the tax implications between the above?
3) Company profits and recording: How do we avoid paying US tax? Particularly on investor HoldCo profits when:
a) Profits are repatriated to HoldCo (or can this be avoided?), and
b) When a share sale occurs in the future
4) If there is a future IPO, what do we need to be thinking restructuring-wise for now
If you think you can help us with these questions, please contact us and we'd be keen to work with you.
I am CPA in Hong Kong with over 20 years' experience in finance field and work in US MNC. I can provide a general tax and corporate advisory to your case and answer your questions formally in written from tax and local statutory filing aspect and other tax consideration like. My certification with details can be provided upon request. Please contact me for further discussion and project start!