INTERNATIONAL TAX PLANNING
The Cyprus tax system is in full compliance with EU and OECD regulations. It has certain favorable features which render the use of a Cypriot holding company very attractive, in particular using it as an intermediate holding company location in a number of circumstances e.g. for international or domestic groups investing outside Cyprus, aiming at tax exempt dividend income streams; to hold subsidiaries that have scope for significant capital appreciation and with the intention of being disposed of in the future – as such disposals are not taxable in Cyprus, and to benefit from the favorable withholding tax provisions of the Cyprus double tax treaties network.
OUR SERVICES
- Tax efficient structuring of groups of companies & repatriation of profits
- Advice on cross-border tax efficient financing solutions
- Obtaining advance tax rulings from the Cypriot Income Tax office
- Advice on the application of double tax treaties.