Dong Gang(Tony)

董剛

Areas of Practice 

Tony Dong heads KWM’s tax practice in China, and is specialized in PRC tax and business advisory practice.

Tony has vast experience in advising clients on China tax and legal matters, including tax planning on investment and business structure, tax compliance and risk management, M&A and restructuring, tax dispute resolution, and tax incentives application, with a broad client portfolio covering pharmaceutical, energy, finance, telecom, IT, e-commerce, real estate, and manufacturing sectors. 

Tony has successfully represented many multinational and domestic clients on tax controversy projects, including transfer pricing investigation, anti-avoidance investigation, tax audit defense, tax appeal and tax litigation cases in China.

Tony has published a number of articles and publications on cross-border taxation, transfer pricing and tax dispute issues, and he is a regular speaker at international tax conferences.

Tony has been widely ranked as leading tax lawyer in China, by international legal directories including Chambers Asia Pacific, Legal 500, China Law & Practice, Asia Law Profiles, etc.

Work Experience

Prior to joining King & Wood in 2009, Tony worked for more than 9 years with Big-4 accounting firms, including PwC in Hong Kong, Deloitte and E&Y in Beijing, advising clients on China tax and business issues.

Tony is a graduate of University of International Business and Economics (majored in English) and he obtained the degree of Master of Accounting from USC(University of Southern California)in 1999.

Tony is admitted to practice law in the PRC, and he also has the professional qualification of AICPA (American Institute of Certified Public Accountants) and Certified Tax Agent in China.

Tony’s working languages are English and Mandarin.

Location

AQ Contact

AQ Contact
Dong Gang(Tony) is one of our AQ contacts.
Legal insights

2020年10月12日,经济合作与发展组织(“OECD”)分别发布了关于“支柱一”和“支柱二”方案的蓝图报告(“支柱一蓝图报告”和“支柱二蓝图报告”,合称为“支柱蓝图报告”),向公众征询意见。通过该做法,OECD推后了其此前关于OECD成员国能在今年年底前达成全球技术性和政治性共识的期望。考虑到世界正聚焦于COVID-19及美国总统选举,这并不令人感到惊讶。

09 December 2020

2020年6月,美国决定“暂停”加入经济合作与发展组织(“OECD”)的支柱一和支柱二方案,该方案为OECD税基侵蚀与利润转移(BEPS)项目的“第二阶段”。尽管如此,OECD仍然强调,美国既未退出谈判,也没有停止磋商。这一事件及时提醒我们,对于实施OECD的支柱一和支柱二方案,还存在着一系列障碍。本文对相关方案进行了概述,并就在国家间无法达成共识的情况下推进这些方案的替代性方法展开了思考。

07 October 2020

This tax reform will have a profound impact on the economic landscape of America and the world at large.

06 February 2018

In response to the upcoming individual income tax reform, we have summarized the key points of the CRS Regulations.

24 May 2017

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