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If you are a high‑net‑worth individual planning to relocate capital to Hong Kong, understanding how to apply for an investment visa in Hong Kong in 2026 under the New Capital Investment Entrant Scheme (New CIES) is essential. The New CIES, administered by the Immigration Department (IMMD), provides a structured pathway for non‑resident investors, and their dependants, to obtain the right to reside in Hong Kong by committing qualifying assets to permitted investment classes. The investment visa process in Hong Kong changed materially from 1 March 2026, when IMMD introduced updated holding‑company eligibility rules, revised asset‑evidence windows, and expanded digital filing support through the official NewCIES portal.
This guide walks through every stage of the application, from confirming eligibility for the Capital Investment Entrant Scheme to receiving your visa label, so that applicants, family offices, and in‑house counsel can prepare with confidence.
The New CIES is Hong Kong’s principal investor‑immigration route. It allows a foreign national or a resident of Macao, China, or Taiwan who meets the scheme’s financial and character requirements to apply for permission to enter and remain in Hong Kong for the purpose of making a substantial capital investment. A successful applicant receives a visa label (or e‑visa support notification) and, upon arrival, an entry permit that permits residence. Dependant spouses and unmarried children under 18 may be included in the same application.
At a high level, the investment visa process in Hong Kong follows this sequence:
The 2026 measures published on the NewCIES portal streamline several of these steps, particularly around evidence formatting and e‑filing. Applicants lodging applications from March 2026 onward must follow the updated rules, which are detailed in the dedicated section below.
Before assembling documents, applicants should confirm they satisfy every eligibility criterion. IMMD assesses applications holistically, but the following requirements are non‑negotiable.
The centrepiece of the New CIES requirements is the minimum net‑asset threshold. Market advisories and the NewCIES portal report a minimum of HKD 30 million in net assets, which the applicant must demonstrate they beneficially own. The evidence must cover a continuous period preceding the date of application, the NewCIES portal’s 2026 guidance indicates a required evidence window. Applicants should confirm the precise window (commonly reported as the preceding two years, though industry observers expect the 2026 measures to accept a shorter continuous‑holding period in certain asset classes) directly with IMMD or qualified counsel, as the rules may be updated. Assets must be held in the applicant’s own name or through a qualifying structure (see below).
Permitted assets under the New CIES typically include:
Valuation evidence must come from independent, qualified sources: audited financial statements prepared by a certified public accountant, custodian or bank confirmation letters on institutional letterhead, and, for property, professional valuations from a surveyor registered in the relevant jurisdiction. Documents not in English or Chinese must be accompanied by certified translations.
Every New CIES applicant must nominate a local sponsor. The sponsor may be a Hong Kong‑incorporated company or, in certain cases, a permanent resident of Hong Kong. The sponsor assumes responsibility for the applicant during their stay and undertakes to notify IMMD of any change of circumstances. A company sponsor must demonstrate genuine business operations in Hong Kong, typically by providing a Business Registration Certificate, audited accounts, and a board resolution authorising the sponsorship. Applicants who do not yet have a sponsor relationship should begin negotiations early, as sponsor due diligence and drafting the sponsor letter can take 1–3 weeks.
For a detailed guide to sponsor agreements, see the forthcoming article on how to draft a Hong Kong sponsor agreement (CIES).
The following numbered steps map the complete application lifecycle. The timeline table below summarises each stage, the responsible party, and the typical duration.
| Step | Who Does It | Typical Duration |
|---|---|---|
| Pre‑application document gathering and valuation | Applicant + counsel + financial adviser | 2–6 weeks |
| Sponsor nomination and sponsor documents drafted | Sponsor + applicant + counsel | 1–2 weeks |
| Application form ID(E)967 completion and filing | Applicant / Sponsor (filed by sponsor) | E‑filing: same day; Paper: 1–3 days to lodge |
| IMMD initial screening and RFI (if any) | IMMD, applicant responds via sponsor | 2–8 weeks (IMMD may issue RFIs) |
| Substantive assessment and decision | IMMD | 6–12 weeks (typical) |
| Visa label / entry permit issuance and arrival formalities | IMMD / Immigration at port of entry | 1–2 weeks after decision |
| Appeal / review (if refused) | Applicant via counsel | Varies, see IMMD guidance on review window |
Begin by auditing your asset portfolio against the New CIES requirements. Instruct your accountant to prepare or update audited financial statements and request bank confirmation letters covering the required evidence window. Identify any assets that may need revaluation or restructuring, for example, property holdings that require an independent surveyor’s report, or private‑company shares that need a fresh audit. Simultaneously, shortlist potential Hong Kong sponsors. Assess each candidate’s willingness to accept sponsorship obligations, their financial standing, and their familiarity with IMMD procedures. Engaging experienced immigration counsel at this stage helps avoid costly missteps later.
Once you have selected your sponsor, formalise the arrangement. The sponsor must sign a letter confirming their willingness to act as sponsor and accepting their statutory obligations, including the duty to notify IMMD of changes to the applicant’s employment, residence, or marital status. If the sponsor is a company, a board resolution authorising the sponsorship and designating a contact person should accompany the letter. The sponsor letter should include the sponsor’s full legal name, Business Registration number, registered address, a brief description of its Hong Kong operations, and a clear statement of its relationship to the applicant. Weak or vague sponsor statements are one of the most common grounds for IMMD queries, so precision matters.
Form ID(E)967 is the prescribed application form for the New CIES. It is available for download from the IMMD website and the GovHK portal. Complete every section in block capitals or type; leave no field blank (enter “N/A” where a question does not apply). Assemble the required appendices, passport photographs meeting IMMD specifications, a clear colour copy of the passport bio‑page (with at least six months’ validity from the lodgement date), and all supporting evidence detailed in the documents table below. For e‑filing, scan all originals as high‑resolution PDFs. For paper submission, prepare two complete sets, one original and one certified copy.
Applications may be submitted through the GovHK e‑filing portal or lodged in person at the IMMD’s Receipt and Despatch Unit. The 2026 updates to the e‑visa Hong Kong 2026 workflow mean that applicants filing online receive an electronic acknowledgement with a reference number within one working day. Paper applications are typically acknowledged within three working days. In both cases, the sponsor, not the applicant, is the filing party and the IMMD’s primary point of contact.
After filing, IMMD conducts an initial screening. If the application is incomplete or raises queries, IMMD will issue a Request for Further Information (RFI) directed to the sponsor. Best practice is to respond within 14–21 days. IMMD may treat a failure to respond within the stipulated period as an indication that the applicant wishes to withdraw the application. Counsel should monitor correspondence closely and prepare supplementary evidence (e.g., updated bank balances, clarification letters from auditors) in advance of likely queries.
If IMMD approves the application, it issues a visa label (or, where applicable, an e‑visa support notification). The applicant, or the sponsor on the applicant’s behalf, collects the visa label from IMMD. Upon arrival in Hong Kong, the applicant presents the visa label at immigration control and receives a landing slip confirming the conditions of stay. Post‑approval obligations include maintaining the qualifying investment for the duration of the permission period, notifying IMMD of changes in circumstances, and applying for extension before the current permission expires.
IMMD will provide written reasons for a refusal. The applicant may seek a review of the decision through IMMD’s internal review mechanism within the window specified in the refusal notice. Common grounds for refusal include insufficient proof of net‑asset continuity, an unqualified sponsor, or doubts about genuine residence intent. Where the deficiency is remediable, for example, missing translations or outdated financial statements, re‑submission with corrected documents is usually the most efficient path forward. Experienced counsel can advise whether to pursue formal review or to re‑apply.
The table below sets out every document typically required for a New CIES application. Applicants should treat this as a minimum checklist; IMMD may request additional items depending on the complexity of the case. For a more detailed breakdown with sample formats, see the forthcoming CIES document checklist (detailed).
| Document | Notes (Issuer, Format, Validity) |
|---|---|
| Completed application form ID(E)967 | Download from IMMD or GovHK; signed by applicant; scanned PDF for e‑filing |
| Passport bio‑page copy | Clear colour copy; passport validity ≥ 6 months at lodgement |
| Recent passport photographs | Meeting IMMD photometric specifications |
| Proof of net assets (financial statements) | Audited financial statements and bank confirmation letters; must cover the required evidence window preceding lodgement |
| Evidence of asset ownership | Title deeds, share certificates, custodian letters; translated and certified where not in English or Chinese |
| Holding‑company corporate documents (if applicable) | Certificate of Incorporation, Memorandum and Articles of Association, audited accounts, shareholder register |
| Sponsor letter and corporate resolution | Confirms sponsorship obligations; includes Business Registration number and description of HK operations |
| Personal CV and business plan (if applicable) | Outlines business activities if the applicant intends to operate a business in Hong Kong |
| Police clearance certificate | Certificate of No Criminal Conviction issued by home‑jurisdiction authorities; translated and certified |
| Proof of residential address | Recent utility bills or bank statements (issued within 3 months) |
| Proof of relationship for dependants | Marriage certificate, birth certificates, certified copies |
| Tax returns / audited accounts (2–3 years) | Corroborates source of assets; required where IMMD needs to verify asset accumulation |
| Certified translations and notarisation | All documents not in English or Chinese must be accompanied by certified translation; apostille or consular legalisation where required |
The 2026 filing changes mean that IMMD now accepts high‑resolution scanned copies of originals for e‑filing. However, applicants should retain all originals, IMMD reserves the right to request physical documents for verification at any point during assessment.
The total elapsed time from initial preparation to visa issuance is typically 12–30 weeks, depending on the complexity of the applicant’s asset profile and IMMD’s caseload. The timeline for a CIES application breaks down as follows:
Industry observers expect processing times to shorten slightly as IMMD’s digital infrastructure matures under the 2026 reforms, but applicants should plan conservatively. Building a buffer of at least two months for unforeseen RFI rounds or document re‑certification is prudent.
The costs associated with a New CIES application extend beyond the government filing fee. The table below provides a guide to the main expense categories. Applicants should confirm current fee amounts directly with IMMD, as government fees are subject to periodic revision.
| Item | Indicative Amount (HKD) | Notes |
|---|---|---|
| IMMD application / visa fee | Per IMMD published schedule | Confirm current fee on the IMMD fees page; may vary by visa category |
| Sponsor administrative costs | Varies | Internal costs incurred by the sponsoring company for legal review and board resolution |
| Legal professional fees | HKD 30,000–150,000+ | Depends on complexity, sponsor drafting, RFI management, and appeal work |
| Financial due diligence and valuation | HKD 10,000–100,000+ | Audited accounts, valuation reports, custodian confirmation letters |
| Translation and notarisation | HKD 500–5,000 per document | Certified translation; apostille or consular legalisation charged separately |
| Tax advisory and repatriation advice | Variable | Seek advice from Hong Kong and home‑jurisdiction tax advisers before transferring funds |
Hong Kong does not impose capital gains tax, but the jurisdiction from which funds originate may. Applicants should obtain specialist tax advice on the implications of liquidating or transferring assets, including withholding tax, exit charges, and foreign‑exchange controls, before committing to the investment.
The measures published on the NewCIES portal and the IMMD’s New CIES guidance page, effective from 1 March 2026, introduce several changes that directly affect how to apply for an investment visa in Hong Kong in 2026:
The likely practical effect of these changes is to accelerate the front end of the application process, particularly for applicants with straightforward asset profiles, while tightening scrutiny of holding‑company structures. Applicants who began preparation under the pre‑March 2026 rules should review their evidence packages against the updated requirements before filing.
This article was produced by Global Law Experts. For specialist advice on this topic, contact Eugene Chow at Chow King & Associates, a member of the Global Law Experts network.
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