WM Market Reports
Succession Planning for China’s Wealthy

China's exploding wealth among its HNW and ultra-HNW population means transferring all that money and those assets is going to be a big task. Certain forces also mean there are a number of challenges.
Succession planning in China is a major challenge for several reasons: the sheer volume of money to be transferred, the newness of the wealth and lack of more tried and tested approaches as seen in some other regions, and the fact that mainland China recently relaxed its One-Child policy. (Transferring wealth gets difficult if there aren’t any or many heirs.) To address these matters is wealth management organisation Vistra. The following article is written by Chris Burton, managing director, Southeast Asia, and Sherrie Dai, managing director and co-head, Greater China.
This news service is pleased to share these views and invites readers to respond. It does not necessarily endorse all views of guest writers. Email the editor at tom.burroughes@wealthbriefing.com
China’s exponential growth of HNW
individuals
China’s breathtaking economic growth over the last few decades
has been accompanied by a commensurately rapid rise in the number
of high net worth individuals and levels of personal wealth.
According to CapGemini, the number of HNW individuals in China
(defined as holding investable assets of $1 million-plus)
increased from nearly 180,000 in 2006, to 1.256 million in 2018
- a sevenfold expansion, with no sign of a slowdown in pace:
growth between 2016 and 2017 was 11 per cent in itself. China’s
private wealth has burgeoned to RMB165 trillion (approximately
$24 trillion), more than six times its level in 2006, according
to the 5th China Private Wealth Report, developed by
Bain & Company in collaboration with China Merchants Bank. This
period of wealth creation is one of the fastest in modern
history. China now has over 400 billionaires, second only to the
US.
Challenges faced by the wealthy
However, as seen in other parts of the world, this new wealth
brings new challenges. A key issue that is often overlooked is
how to pass the accumulated wealth to the next generation in an
appropriate and controlled way.
Lack of focus on inter-generational wealth
succession
Wealth advisors and their clients tend to focus on preserving or
growing the wealth over the medium term, while longer term plans
for its disposition to the next generation are often overlooked.
There are a number of reasons for this: the fact that decisions
about sharing wealth between potential heirs are not easy, and
the tendency to believe that there is “still time” to make plans,
are the main culprits for deferring a succession plan. In China,
there is a further complication, as conversations about mortality
are not culturally de rigueur, so the issue is difficult to table
for discussion. As a result, wealth managers engage more
proactively on immediate investment priorities and park this more
uncomfortable topic for a later date. This can be a mistake.
China’s one-child policy
It is tempting to view China’s legacy one-child policy in this
context, and perhaps draw a conclusion that succession planning
is not so much of an issue. But this is a superficial analysis.
The one-child policy has been loosened recently, but
notwithstanding that, China’s HNW individuals have the same
family intricacies as their counterparts elsewhere. HNW
individual’s siblings develop expectations of a share of the
wealth, marriages break-down, new partners come on the scene,
parents become concerned about the lifestyles of, and impact of
the wealth on, the next generation, or distrust the husbands and
wives of their children, and so on. In any cases, sons and
daughters have no interest to continue the family business,
leaving a two-fold problem of how to handle the transition of
both corporate and personal assets.
Increasing concern in succession planning
There are visible indicators that succession planning concerns
are increasing. Will writing in China has not featured
historically, with wealth transfer typically taking place in
imperial China between the parents and the first son, and not
really on the radar in more recent times due to the legacy levels
of poverty. However, following the reforms and the wealth
creation of the last 40 years, the issue is now higher on the
agenda. The number of wills handled by notaries in Guangzhou and
Shanghai increased by 20 per cent between 2016 and 2017, and
(according to the Chinese Ministry of Justice) 1.4million wills
are lodged at notaries' offices, an increase of fivefold from 20
years ago.
Diversification and asset protection: offshore trust
arrangements
Wealth management strategies in general sit on a continuum
between risk-taking and preservation: succession planning sits
very much on the latter pole. Key wealth preservation strategies
centre around diversification - of assets, currencies and
jurisdictions, carefully designed to avoid overconcentration in
specific areas and allowing financial crises to be ridden out
without significantly impacting the quantum of the wealth.
Partly as a result of the focus on diversification and asset protection, Chinese HNW individuals have increasingly established private trust arrangements. These typically involve the HNW individual placing assets into a trust structure, managed by a professional trustee, who is given guidance in the form of “wishes” on how the assets should be managed before and after their demise. This allows an orderly disposition by a trusted third party, helps set expectations for the next generation, and avoids uncertainty (and, as a result, much vitriol and distress in the family).
Trust arrangements are drafted to be as robust as possible, but of course can be legally challenged by disgruntled third parties. Hence, they function more reliably if established in a jurisdiction with a mature framework of legacy trust case law. Given the responsibilities placed on the trustee, HNW individuals also have a preference for selecting trustees in jurisdictions with strong regulatory frameworks. For these reasons, for Chinese HNW individuals, Hong Kong and Singapore are the preferred locations for the law of the trust and the location of the trustee, although it is equally common that the trusts are written under another jurisdiction’s law, for example Jersey.
Trusts to address concern over losing control of
assets
HNWIs, Chinese or otherwise, often baulk at the concept of
gifting their assets to another party (the trustee), who has
discretion over how they are managed, and the assets are
distributed. The wealth has often been generated by
entrepreneurialism and hard work of an individual or couple, and
it is uncomfortable to imagine losing control of the assets by
settling them into a trust. The trust industry has, of course,
recognised these genuine concerns, and has adapted its range of
solutions accordingly: reserved power trusts, Cayman STAR trusts,
BVI VISTA trusts and private trust companies confer different
levels of influence over the trustee’s discretion. Add to this
that larger trust companies administer trusts possibly for
hundreds of HNW individual families, and are invariably regulated
in their home jurisdiction, and the risk of trustee malfeasance
is very much reduced.
Hong Kong’s IPO boom
Trust arrangements have been particularly popular with Chinese
entrepreneurs who have built successful businesses in China, and
now wish to access global markets to raise funds for further
expansion, or to realise some (or all) of the value of their
business. Typically, such companies are brought to the Hong Kong
Stock Exchange for an Initial Public Offering (“IPO”). Activity
this year has been very strong, with high profile flotations such
as Xiaomi and China Tower making the most recent headlines. A
typical pre-IPO structure sees the shares in the business placed
into a trust structure initially, the IPO subsequently takes
place, a proportion of the shares is retained in the trust along
with the (usually very substantial) proceeds from the IPO. The
latter are then invested by the trustee (under the guidance of
the entrepreneur and his advisors) into a portfolio of assets to
protect and diversify the wealth for the long term benefit of the
entrepreneur and his/her family.
Singapore: a popular trust jurisdiction
Commonly, the transaction is engineered and executed in Hong
Kong, although Singapore is increasingly emerging as the
preferred location for Chinese HNW individuals. There is a view
that Singapore as a jurisdiction is more arms-length from China
itself, and has a more established and comprehensive regulatory
regime for trustees. In addition, Singapore has cultural links
which are as strong as Hong Kong’s and has Mandarin capability,
which is attractive to wealthy Chinese.
Next step: family office
Some Chinese HNW individuals have gone a step further, and
established more formal family office arrangements. Family
offices are a concept developed in the US and Europe, but are
becoming increasingly relevant for Chinese and other Asian
clients. Typically, they involve dedicated investment and finance
professionals with a specific mandate to manage family
governance, investment management, physical asset management,
estate planning, tax planning and concierge-type arrangements for
their families, providing a single focal point for the family’s
immediate and longer term financial needs. Singapore’s
accommodative financial services regime strongly supports the
family office industry and many Chinese HNW individuals have
taken advantage and established themselves there.
Early start: succession planning
However, the real message here is to address succession planning
decisions as soon as possible. HNWIs should not leave this
important decision for another day: the future is too difficult
to predict. Across the world (including in Asia), there are
numerous examples where HNW individuals have not designed
sufficiently robust wealth succession plans. This has left a
legacy of long term, irreconcilable conflict between next
generation siblings, which would have broken the hearts of the
parents had they been able to see the consequences of not
planning comprehensively enough.
The combination of the prospect of inheriting substantial wealth, and the emotional aspects of sibling rivalry, make a toxic mix that rarely has a good outcome.