Our multi-jurisdictional capabilities enable us to establish efficient, beneficial and compliant structures in a wide range of suitable jurisdictions such as Luxembourg, Malta, the Netherlands and Switzerland.
Suitable holding jurisdictions should offer:
- low to no withholding tax on money flows from the target jurisdiction to the holding jurisdiction;
- low to no taxation on the income in the holding jurisdiction;
- low to no withholding taxes on money flows from the holding jurisdiction to the home jurisdiction.
To maximise the benefits of your business email or call us.