Not really, and definitely not in the way Delaware does, at least according to this 2013 analysis.

Hong Kong lacks a general appraisal remedy; instead, at least for public companies, the takeover must be evaluated by an independent advisor and those finding made available to shareholders.

Considering Canadian and Cayman Islands appraisal rules, we see great diversity across appraisal regimes worldwide, even among jurisdictions that have a common legal-ancestor (English common law).

**Lowenstein Sandler does not practice in Hong Kong.  Consult a Hong Kong attorney for questions regarding Hong Kong law.

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