Hong Kong has extended its travel ban on incoming flights from eight countries including Australia until 21 April 2022.1 The travel ban has been in place since 8 January 2022. This creates concerns about displaced workers and issues around residency, income sourcing, and permanent establishment.

The Australian Taxation Office (ATO) has provided guidance on the Australian tax implications for individuals that have been displaced in Australia due to the COVID-19 pandemic.

WHY THIS MATTERS

Many Hong Kong-based employees who may have come to Australia to visit extended family and friends over the Christmas and New Year period have found themselves unable to return. Some employers are now concerned about tax issues associated with allowing these employees to work remotely in Australia for a temporary period until flights resume.

Employers need to be aware of the circumstances of displaced workers who are in Australia. Regardless of which jurisdiction their employees normally work in, employers need to consider whether any Pay-As-You-Go withholding and payroll reporting obligations exist for employee time spent in Australia. 

Sourcing Income

The Australian Taxation Office (ATO) published COVID-19 guidance in relation to residency and income source remains relevant in these circumstances.2 (For prior coverage, see GMS Flash Alert 2021-229, 3 September 2021.) 

The underlying principle is that a nonresident of Australia for tax purposes is only taxable on Australian-sourced income.  

  • For nonresident individuals who find themselves displaced in Australia, where the remote working arrangement is for three months or less, the ATO has accepted that the income from such employment will not have an Australian source. For working arrangements longer than three months, an employee’s individual facts and circumstances need to be examined to determine if the employment is connected to Australia and considered to have an Australian source. 
  • Where employees have chosen to stay in Australia despite being able to leave and have agreed with their foreign employer that Australia can be their usual place of employment until the employees choose to travel again, the employment income is likely to be Australian-sourced.  
  • If an individual is tax resident in a jurisdiction with which Australia has a double taxation agreement (currently there is no such agreement with Hong Kong SAR), then the relevant provisions under the short-term visitor exemption will need to be reviewed to determine if the employment income is exempt from taxation in Australia, or whether any “deemed source” provision may apply to treat the employment income as having an Australian source.  

It is also important to remember that where employees have triggered Australian tax residence, then, regardless of the source of the employment income, they will be taxable in Australia.  

Permanent Establishment

The ATO has not extended its approach to permanent establishment (PE) risk beyond 31 December 2021. Prior to 31 December 2021, the ATO indicated that it would not apply compliance resources to determine whether a PE existed in certain circumstances due to travel restrictions arising from COVID-19.  

From 1 January 2022, this approach ceased to apply, and foreign employers will need to consider whether ongoing arrangements give rise to a PE in Australia.  This is understandable given that some international flights have resumed.  If employees have been in Australia for a significant period of time, foreign employers need to consider more broadly what the employees are doing and whether they are actually endeavoring to depart.   

The ATO has updated Taxation Ruling TR 2002/5 with an addendum to formally recognise the ongoing COVID-19 pandemic as an “extraordinary circumstance” where a forced presence of employees in Australia for more than six months may be considered “temporary” for the purposes of satisfying the temporal permanence requirement for foreign entities to have a PE in Australia.3  Accordingly, this should provide foreign employers with some assurance that the Commissioner will continue to consider the impacts of the COVID-19 global pandemic and travel restrictions where relevant when determining whether a PE exists. 

KPMG NOTE

PE

Accordingly, this should provide foreign employers with some assurance that the Commissioner will continue to consider the impacts of the COVID-19 global pandemic and travel restrictions where relevant when determining whether a PE exists.

Policies in Flux, Need to Monitor

With the changes in work practices globally and on-going developments as governments around the world tackle outbreaks of COVID, employers need to stay in tune with the various circumstances in which employees find themselves working in Australia in order to navigate through the associated employer obligations. 

FOOTNOTES

1  See, Government of Honk Kong SAR COVID-19 website.

2  See ATO guidance, “Residency and source of income.”

3  ATO Taxation Ruling 2002/5A3-Addendum.

PEOPLE SERVICES IN AUSTRALIA

Sydney, New South Wales & Melbourne, Victoria

Mardi Heinrich

Partner – Deals, Tax & Legal

People Services

Mobile: +61 410 602 993

meheinrich@kpmg.com.au

Perth, Western Australia

Dan Hodgson

Partner – People Services

Mobile: +61 416 017 131

dghodgson@kpmg.com.au

Melbourne, Victoria

Ursula Lepporoli

Partner – People Services

Tel.: +61 3 8626 0967

udlepporoli@kpmg.com.au

Brisbane, Queensland

Hayley Lock

Partner – People Services

Mobile: +61 477 764 638

hlock@kpmg.com.au

Sydney, New South Wales

Ablean Saoud

Partner – Deals, Tax & Legal

People Services

Mobile: +61 421 052 596

asaoud@kpmg.com.au

Sydney, New South Wales

Jackie Shelton

Partner – Deals, Tax & Legal

People Services

Mobile: +61 412 291 846

jsshelton@kpmg.com.au

Special Contributors: Priscilla Tang, Belinda Rong

 

The information contained in this newsletter was submitted by the KPMG International member firm in Australia.

 

© 2022 KPMG, an Australian partnership and a member firm of the KPMG global organisation of independent member firms affiliated with KPMG International Limited, a private English company limited by guarantee. All rights reserved.

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GMS Flash Alert is a Global Mobility Services publication of the KPMG LLP Washington National Tax practice. The KPMG name and logo are trademarks used under license by the independent member firms of the KPMG global organization. KPMG International Limited is a private English company limited by guarantee and does not provide services to clients. No member firm has any authority to obligate or bind KPMG International or any other member firm vis-à-vis third parties, nor does KPMG International have any such authority to obligate or bind any member firm. The information contained herein is of a general nature and is not intended to address the circumstances of any particular individual or entity. Although we endeavor to provide accurate and timely information, there can be no guarantee that such information is accurate as of the date it is received or that it will continue to be accurate in the future. No one should act on such information without appropriate professional advice after a thorough examination of the particular situation.

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