Hong Kong: More than just a ‘SAR’

Elsa Zhou
11 min readApr 12, 2021

Hong Kong is a Special Administrative Region (SAR) of People’s Republic of China. SAR is an administrative division of China, a singular, centralised state.

Behind that sentence, Hong Kong hides its true self of being a quasi-state. To understand what Hong Kong truly is, we must look at what Hong Kong truly regard itself and act as.

Let’s start with the basics. This is the map of Hong Kong, a city with 7.5 million people. It has its own immigration, customs, and basically all other control within its borders. For example, if one is travelling from Shenzhen here, to Hong Kong, during the pandemic, one might be subject to 14 days of quarantine.

Map of Hong Kong with borders

Have you been noticing the change from simply ‘Country’ on many selections to ‘Country/Region’? Yes, it is done to conform to China’s pressure, as they do not like to view Hong Kong as an independent, national entity separate from the rest of China. However, that is (with a few exceptions) the reality. All this time, all the Hong Kong and Chinese government has been doing, is simply concealing the fact by changing words, technicalities, and the fine prints.

Chapter 1: Hong Kong’s domestic matters

Hong Kong, within its own borders, have near full agency. It’s status is conferred by Article 31 of the Chinese Constitution which allows for the establishment of SARs when necessary, with specific laws that apply on a case-by-case basis. For Hong Kong, that law is the Basic Law of Hong Kong, passed by the Chinese Parliament. It is a Chinese domestic law, created because of an international treaty with the UK that serves as the de facto constitution for Hong Kong. Although under Chinese sovereignty (which will be discussed later), Hong Kong is therefore not subject to much of the laws that apply in Beijing, including the Chinese Constitution (in practice).

The Basic Law of Hong Kong is the foundational document for Hong Kong, much like other constitutions. Laws that go against the Basic Law will be declared unconstitutional by Hong Kong courts and made invalid. Basic Law prescribes the ’One country, Two systems’ formula for Hong Kong, allows for continuance of its capitalist system and way of life until at least 2047 as guaranteed by the Sino-British Agreement.

One of the things prescribed is Hong Kong’s citizenship. As part of the word changing, it is not called citizens rather than ‘Permanent Residents’. In actuality, the two statues are very similar. Only Hong Kong permanent residents (HKPR) may vote in elections, regardless of their nationality. A Chinese national without permanent residency have to apply for visas to enter Hong Kong, oh sorry, I meant ‘entry permits’. Few differences still matter when its comes to nationality. Only a HKPR with Chinese nationality as per Chinese nationality laws may obtain a Hong Kong passport which labels the bearer as a Chinese citizen, but it cannot be used at the airport in Beijing as although technically it is a type of Chinese passports, that is only the technicalities. Only a HKPR with Chinese nationality may never lose their HKPR status, a foreign (non-Chinese) HKPR may lose their HKPR after a continuous period of 3 years’ absence from Hong Kong, after which they will be given the ‘right to land’ allowing them essentially all prior rights, just without suffrage. Chinese HKPR and non-Chinese HKPR votes weigh the same, but non-Chinese HKPR have limited seats in Hong Kong’s parliament (‘Legislative Council’). One can argue that this is unfair treatment, but one can also argue that many other countries have protections for their ‘indigenous population’. Chinese Hong Kong residents (whether permanent or not) and non-Chinese HKPR who cannot obtain any other foreign travel document can apply for a ‘Hong Kong Document of Identity for Visa Purposes’, which have less rights than a full Hong Kong passport including visa-free access. However, the bearer of these two documents are considered to be Hongkongers by U.S., with the same nationality code entered on the visa issued (HNK). In effect, Hong Kong’s citizenship scheme gives preferences and protections to Chinese nationals without tipping the balance too much.

As a recent story about how Hong Kong thinks in the ‘city-state’ mentality, it is from neighbouring Shenzhen, where residents angrily discovered that Hong Kong is planning to build a mass cemetry near the border. For Hong Kong, the location is perfect as it is far away from any of its population, but across the river, there is a flourishing business and leisure district. To this protest from Shenzhen residents, Hong Kong’s president/prime minister (‘Chief Executive’) basically just shrugged, and said ‘too bad, that is a they problem’.

Chapter 2: Hong Kong’s foreign relations

Hong Kong has signed a wide range of treaties and conventions, and participates in many international organisations under the name ‘Hong Kong, China’, from the WTO, APEC, IMF, Universal Postal Union and much more. A Hongkonger even once chaired the WHO, however this is not well known as she was officially a member of the Chinese delegation. According to the Hong Kong government, she participates in 39 international organisations that are full sovereign states only, either as less-than-full members or as part of the Chinese delegation, and 54 organizations not limited to soverign states.

As part of international diplomatic practice, Hong Kong maintains an order of precedence. Note the lack of any Chinese government officials on the list, as they are treated as special guests when visiting HKSAR, like any other foreign dignitary. The CIA World Fact book lists the Chinese President Xi Jinping as Hong Kong’s head of state and Hong Kong’s Chief Executive Carrie Lam as Head of Government. In most cases, Head of State is more of a ceremonial role and Head of Government is one that has the real power. For example, the Queen is the Head of State of the UK, Canada, Australia, New Zealand, and her other Commonwealth Realms but the actual power is exercised by Prime Ministers, the Heads of Governments. In effect, the CIA considers the Chinese President to be important in Hong Kong’s politics but not exercising much direct influence, which is true.

Various foreign Consulate-Generals are accredited to Hong Kong, and despite their official classification as Constulates, they are in actuality treated as Embassies by many of the sending states. For example, the U.S. Consulate in Hong Kong is not subject to the control of the U.S. Embassy in Beijing, and report directly to the Department of State like what any other embassy would do.

Hong Kong also has representations outside of its borders, called Hong Kong Economic and Trade Offices (HKETO), a name similar to what Taiwan’s foreign representations call themselves, ‘Taipei Economic and Cultural Office’. In reality, HKETO’s and Taiwan’s representation perform like any other embassy or consulates. They communicate with foreign governments, help citizens in need (for example, repatriation flights such as during COVID-19), and issue passports and visas (though only some of the HKETOs perform this function as Hong Kong government decided it was not worth the money). Hong Kong has 5 main offices (with sub-units) in Mainland China, 1 in Taiwan, and 11 elsewhere in the world. They are typically granted diplomatic privileges by special legislation of the host country (as done in Germany) and represents the interest of Hong Kong. Bangkok office has been the latest one opened in 2019, and Hong Kong is prepared to open one in Dubai after talks and signing an agreement with the UAE.

Signing of the Hong Kong-UAE Agreement on Investments

As a counter part of the Hong Kong offices in Mainland China, the Beijing government has several offices in Hong Kong, including the ‘Office of the Commissioner of the Ministry of Foreign Affairs’ which deals primarily with diplomatic matters that are not within the scope authorised by the Basic Law for Hong Kong, the ‘Liaison Office of the Central People’s Government’ which functions as an sort-of Chinese embassy that communicates with the Hong Kong government, organises receptions for guests, issues certificates with legal force recognising and authenticating Hong Kong issued degrees for use in Mainland China and more. Hong Kong SAR passport is issued by Immigration Department, Hong Kong, but for a proper Chinese passport with the red cover, that is issued to Mainland Chinese citizens by the aforementioned Office of the Commissioner, where one can also apply for Chinese visas among other functions.

I don’t know about you, but that seems to me pretty much like Hong Kong is conducting foreign relations like any other country. Gasp, how can that be possible for a ‘region’?

Chapter 3: Chinese Soverignty

Chinese sovereignty over Hong Kong is evident in several matters. The Basic Law allows for unilateral, direct application of Chinese Laws by the Chinese parliament in Hong Kong that affect foreign affairs, national defence or matters not within Hong Kong’s autonomy through amending Annex III, which was used to bring the ‘Hong Kong National Security Law’ into legal force in Hong Kong. Hong Kong’s signing of international agreements must be consented by the Chinese government, and ultimately, Chinese government has the power to unilaterally revoke Hong Kong’s status, perhaps through using the Chinese army stationed in Hong Kong. Much of the potential power is not exercised, as it is not in China’s interest to completely destroy Hong Kong.

Mainland Chinese residents wishing to travel to Hong Kong for tourism do not need a visa from the Hong Kong government, instead ‘entry endorsement’ is given by the Chinese government with legal force not found in Hong Kong’s Immigration Law (‘Immigration Ordinance’), but in the Basic Law itself which provides the constitutional right for Beijing to control the entry of Chinese citizens resident in other parts of China into Hong Kong.

Still, this does not diminish the fact that Hong Kong acts much like its own independent state on the world stage. Chinese sovereignty over Hong Kong should be interpreted as control over a foreign state like the U.S. over the 3 countries it is in Free Association with, and New Zealand over its various domains. This is consistent with that fact that Hongkongers, even those of Chinese nationality, are foreign in Mainland China. Not allowed to book into ‘domestic travellers’ only hotels (usually budget hotels), facing huge restrictions on many day-to-day matters such as opening a bank account, obtaining a phone plan, getting the national social insurance and many more. Some of the hurdles comes from the fact that many systems are designed only to support the Chinese national ID and not other documents, and some come from the fact that although Chinese government would like to emphasize that all Hong Kong Chinese compatriots are fully Chinese, and Chinese diplomatic representations have a duty to represent Hong Kong’s interest in the absence of a direct HKETO, often they only pay lip service and heavy suspicion remains. Having a passport stating you as a ‘Chinese national’ is not enough for entry to Beijing, because the passport is in fact a Hong Kong passport that Beijing thinks is just another type of Chinese passport, but for immigration purposes it is suddenly not a Chinese passport anymore. Hongkongers are only claimed as Chinese when it benefits the Chinese government, and ignored when it does not, such as when including the country wide number of COVID-19 cases.

The situation has improved in recent years, as China allowed for Hongkongers with Chinese nationality to obtain ‘Resident IDs’ that are similar to the Chinese national ID, however, differences and hurdles will remain for as long China treats Hongkongers as less-than-full citizens. Only time will tell whether this will ever be possible.

Chapter 4: Fine Prints

Not an Air Force, just the ‘government flying service’. Not a visa, just an ‘entry permit’. Not a consulate, just the ‘Economic and Trade Office’. Not a president, just a ‘Chief Executive’. Not an ambassador, just a ‘director’. Not a member state, just an ‘member economy’.

The list goes on.

Hong Kong is the master at the art of fine prints, using it to portray herself as a subnational part of China. That is true, however this is not the whole picture, far from it.

Hong Kong is a city, an administrative of China with provincial level status. It also is part of the three/four(if you include Taiwan) legal jurisdictions that make up the PRC (Mainland, Hong Kong, Macau), signing not treaties with Mainland China but rather ‘arrangements’. On the world stage, it is a separate legal entity from China in most matters, having its own seat on the table.

The hypocrisy cannot be any more stronger than the fact that Hongkongers can obtain international driving permits because Hong Kong is a party to the Convention on Road Traffic, but not Mainland Chinese because China is not a party. Oh, so can Taiwanese and Macanese citizens.

The legal fine prints build up the illusion that the closest word to describe Hong Kong would be a ‘Special Administrative Region of China’, when the closest word would instead be ‘puppet Chinese city-state’.

The fact is, Hong Kong’s government structure, mentality, society, international relations, laws, finance, and a lot of other matters are just separate from China’s, for the most part albeit similarities that exist because of the shared Chinese heritage. Even the Chinese Nationality Law applied to Hong Kong ‘directly’ through Annex III of the Basic Law was of a different version, but of course it is not called an amendment, just a different ‘interpretation’ issued by the Chinese Parliament.

Cathay Pacific, the de facto flag carrier of Hong Kong, flies no flags of either Hong Kong or China on its planes. Story was that they could not come to a decision about whether to fly the Hong Kong flag or the Chinese flag, or both at the same time, so they decided that doing nothing would be the most correct decision. It is one of the only flag carriers to fly the flag of the company, the other being neighbouring Air Macau.

Hong Kong’s state institutions are, undeniably, separate from the rest of China. With its own currency, border, government, laws, international presence, and basically all the things you would expect from a full sovereign state. In establishing this ‘Special Administrative Region’, China has in effect, gave life to this grand experiment about how far one can push the definition of a ‘country’ to, considering that officially, even despite all the common knowledge suggesting so, Hong Kong is an inalienable, and integral part of the People’s Republic, and all the differences you see here, can be simply explained by ‘One country, two systems’.

As long as everyone is willing to play by the absurdity, China is happy to let Hong Kong be herself, satisfied mostly with just the recognition that Hong Kong is Chinese. As long as SAR is added after Hong Kong to signify the non-sovereign, subnational status, China is willing to let Hong Kong join international organisations and sign international treaties, as long as you call them ‘agreements’. As long as Hong Kong opens consulates in the name of ‘Economic and Trade Offices’, as long as the name ‘Hong Kong, China’, as long as Hong Kong passports label bearer as ‘Chinese’, as long as everyone is buying into the fine prints and not questioning the facade or trying to change the situation, music keeps playing.

Even as China is turning Hong Kong more authoritarian, money will still flow, after all, the world never cared about Singapore’s less-than-democratic regime, only profit.

The horse races on, the dance goes on.

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