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Cookie Policy

 
  • (1) Introduction

Our website uses cookies.

We will ask you to consent to our use of cookies in accordance with the terms of this policy when you first visit our website. / By using our website and agreeing to this policy, you consent to our use of cookies in accordance with the terms of this policy.

  • (2) About cookies

A cookie is a file containing an identifier (a string of letters and numbers) that is sent by a web server to a web browser and is stored by the browser. The identifier is then sent back to the server each time the browser requests a page from the server.

Cookies can be used by web servers to identity and track users as they navigate different pages on a website and identify users returning to a website.

Cookies may be either "persistent" cookies or "session" cookies.

A persistent cookie consists of a text file sent by a web server to a web browser, which will be stored by the browser and will remain valid until its set expiry date (unless deleted by the user before the expiry date).

A session cookie, on the other hand, will expire at the end of the user session, when the web browser is closed.

  • (3) Our cookies

We may use both session cookies and persistent cookies on this website.

We may send to you the following cookies:

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  • (4) Third party and analytics cookies

When you use our website, you may also be sent third party cookies.

Our service providers may send you cookies. They may use the information they obtain from your use of their cookies:

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In addition, we use Google Analytics to analyse the use of this website. Google Analytics generates statistical and other information about website use by means of cookies, which are stored on users' computers. The information generated relating to our website is used to create reports about the use of the website. Google will store this information. Google's privacy policy is available at: http://www.google.com/privacypolicy.html.

  • (5) Cookies and personal information

Cookies do not contain any information that personally identifies you, but personal information that we store about you may be linked, by us, to the information stored in and obtained from cookies.

  • (6) Blocking cookies

Most browsers allow you to refuse to accept cookies. For example:

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Blocking all cookies will, however, have a negative impact upon the usability of many websites.

If you block cookies, you will not be able to use all the features on this website.

  • (7) Deleting cookies

You can also delete cookies already stored on your computer. For example:

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Again, doing this may have a negative impact on the usability of many websites.

  • (8) Cookie preferences

It is our intention in the future to provide functionality in your account for you to be to manage your preferences relating to the use of cookies on our website.

  • (9) Contact us

This website is owned and operated by Offcy Consulting Services Limited.

 STRUCTURES INCLUDING CYPRUS

Cyprus is widely known as one of the most beneficial holding company jurisdictions, hence, the Cyprus holding company has become a major vehicle in international tax planning. Besides the traditional advantages of a Cyprus holding company, Cyprus companies can also be utilised in other structures exploiting local tax legislation, favourable Double Tax Treaty (DTT) network and EU Directives. Overall result is reduced tax bill.

 

 Holding Company

The attractiveness of Cyprus as a holding company jurisdiction and the frequent utilisation of the Cyprus Holding Company in international tax planning structures, is the result of a number of factors:

Tax free distribution of dividends to non resident shareholders:
No withholding tax deducted in Cyprus on dividends paid by Cyprus Company to foreign shareholders (individuals, corporations) irrespective of whether they hold the shares directly or through nominees. Non-taxation of dividends received:

  • No income tax
  • No special defence contribution tax (subject to non-stringent conditions)
  • Unilateral tax credit relief: tax credit is given for any withholding foreign tax deducted on dividends
  • Application of underlying tax provisions included in the Double Tax Treaties: tax credit is given in Cyprus for any foreign tax paid on profits by the company paying the dividends

Ability to extract foreign sourced dividends from subsidiaries at zero or low tax rates. This is achieved through:

  • Cyprus’s extensive Double Tax Treaty network
  • EU Parent Subsidiary Directive

Other considerations:

  • Full exemption from tax on disposal of subsidiary 
  • No tax on disposal of shares or liquidation of Cyprus Holding company
  • No substance requirements, no CFC rules, no minimum holding period

 

 Trading Company

Any Company may carry out its trading activities via Cyprus and benefit from:

  • Lowest EU income tax rate of 12,5% (10% up to 31 December 2012) applicable on profits (income less expenses incurred wholly and exclusively for the production of income)
  • No withholding tax deducted in Cyprus on dividends paid by Cyprus Company to foreign shareholders

 

 Securities Trading Company

Cyprus company trading in shares and other securities (trading or investment activities) may benefit from:

  • Tax exempt gains on securities (“titles”) trading including disposal of shares in subsidiaries
  • The list of qualifying securities accepted by the tax authorities as “titles” includes among others shares, bonds, debentures, options/futures/forwards/swaps/depositary receipts/ index participations/repos on titles, units in open-ended or closed-ended collective investment schemes
  • Tax exempt dividend income (subject to easily met criteria)
  • Unilateral tax credit relief for foreign tax paid on income received abroad
  • Underlying tax provisions included in the DTTs where tax credit is given in Cyprus for any foreign tax paid on profits by the company paying the dividends
  • No withholding tax deducted in Cyprus on dividends paid by Cyprus Company to foreign shareholders

 

 Foreign Permanent Establishment

Cyprus Company may set up a foreign permanent establishment (branch) and escape taxation both
in Cyprus and in the foreign country:

  • No taxation of Permanent Establishment in country of operations (DTT article) if project (construction, assembly works, etc) lasts up to twelve months (minimum period per DTT to satisfy the Permanent Establishment Criteria in the other Contracting State)
  • The profits of the Permanent Establishment are tax exempt in Cyprus if Permanent Establishment lasts more than 3 months (minimum period to satisfy the permanent establishment criteria in accordance with Cyprus law)
  • No withholding tax on dividends paid to foreign investor

 

 Employment Company

Cyprus Company can be used tax efficiently as an employment company:

  • Cyprus Company employs staff to work on overseas assignments in high tax countries
  • Cyprus company charges at cost plus margin
  • Profit taxed in Cyprus at low income tax rate of 12,5% (10% up to 31 December 2012)
  • Profit reduced in high tax operating Company by the Cyprus charge
  • Overall, employee costs are reduced (lower social contributions and tax costs as compared to other EU jurisdictions)
  • Employees are exempt from Cyprus taxation

 

 Royalty Company - Cyprus Company as Owner of IP
  • Any expenditure (of a capital nature) incurred for the development or acquisition of intangible assets as defined in the Patent Rights Law, the Intellectual Property Law and the Trademarks Law is amortised equally over a 5 year period including the year of acquisition.
  • Eighty per cent (80%) of the profit arising from the use of owned intangible assets (trademarks, patents,IP rights including scientific work, literary work, musical work, artistic work, recording, publication,broadcast, movies, database), including compensation for improper use of such assets, and 80% of the profit from the sale of intangible assets is deemed as an expense in arriving at the taxable income.

 


 Royalty Company - Cyprus Company as Intermediary

Cyprus Company can be utilised as an intermediary royalty company between a foreign Licensor Company and a foreign high tax operating company in a treaty location.

  • Profits reduced in high tax operating company through payments of license to Cyprus
  • Minimise any withholding tax paid in operating country through the use of DTT and EU Directive on Royalties and Interest
  • Tax credit in Cyprus for any withholding tax paid in operating country
  • No withholding tax payable in Cyprus on payment of Royalties to Licensor Company
  • Resulting profit taxed in Cyprus at low income tax of 12,5% (10% up to 31 December 2012)

 

 Financing Company

Cyprus Company can be utilised as a financial intermediary for group financing purposes, through provision of loans to high tax jurisdictions (operating company) and low taxability on the interest margin at the Cyprus Financing Company level:

  • Cyprus law does not include thin capitalisation rules (minimum debt/equity ratio)
  • Profits reduced in high tax operating company through payments of interest to Cyprus
  • No withholding tax paid in EU/Russia/Ukraine on payment of interest to Cyprus Financing Company
  • Low taxable net profit margins required by Cyprus tax authorities on back to back loans between related companies:
    • Loans up to €50m – 0,35%
    • Loans from €50m to €200m – 0,25%
    • Loans over €200m – 0,125%
  • Profit taxed in Cyprus at low income tax rate of 12,5% (10% up to 31 December 2012)
  • Tax credit granted in Cyprus for withholding tax suffered
  • No withholding tax payable in Cyprus on payment of interest to its lender
  • Lender is situated in a tax efficient jurisdiction

 

 Real Estate Company

Cyprus Company can be utilised in real estate holding structures eliminating any tax liability on disposal following capital appreciation of the property held abroad:

  • Zero or reduced withholding tax on dividends paid  to Cyprus by real estate holding company abroad
  • Favourable capital gains tax provisions in Cyprus DTTs, allowing the taxing of real estate disposals in Cyprus
  • No capital gains tax on disposal of real estate property held directly by Cyprus company
  • No tax on disposal of shares in real estate holding company abroad
  • No tax in Cyprus on rental income where real estate property is held through a local company
  • No withholding tax on payments from Cyprus to Foreign Investor