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Luxembourg and Cyprus Sign Double Tax Treaty
The Republic of Cyprus and the Grand Duchy of Luxembourg signed the Convention for the Elimination of Double Taxation with respect to Taxes on Income and on Capital and the Prevention of Tax Evasion and Avoidance on 8 May 2017.
The Cyprus Finance Company
A multinational group in choosing a suitable group finance company jurisdiction should give consideration to a number of tax considerations. Even though tax considerations may not be the decisive factor in choosing to set up a group finance company in…
The Cyprus Holding Company
A multinational group, in choosing a suitable holding company jurisdiction, should take into account a number of tax considerations. Even though tax considerations may not be the decisive factor in choosing to set up a holding company in a particular…
Citizenship and Permanent Residence by Investment
Cyprus has been described by many as an ideal place to live, combining its European character with all the best features of a Mediterranean country. Knight Frank ranked Cyprus as the fifth best place to relocate, in its Global Lifestyle…
Citizenship and Permanent Residence by Investment
Cyprus has been described by many as an ideal place to live, combining its European character with all the best features of a Mediterranean country. Knight Frank ranked Cyprus as the fifth best place to relocate, in its Global Lifestyle…
A New Protocol Amending the India – Cyprus Double Tax Treaty
The Cyprus Ministry of Finance announced that a Protocol amending certain of the provisions of the double tax treaty in existence between India and Cyprus has been agreed upon, following the completion of negotiations on 29 June 2016.
Cyprus Introduces an Attractive Non-Domiciled Status
On 9 July 2015, the Cypriot House of Representatives voted on significant amendments to the Cyprus tax legislation further improving its attractiveness, as being a long established comprehensive, simple and transparent tax system. One of the most important changes made…
The Cyprus Holding Company
A multinational group, in choosing a suitable holding company jurisdiction, should take into account a number of tax considerations. Even though tax considerations may not be the decisive factor in choosing to set up a holding company in a particular…
The Cyprus Finance Company
A multinational group in choosing a suitable group finance company jurisdiction should give consideration to a number of tax considerations. Even though tax considerations may not be the decisive factor in choosing to set up a group finance company in…
Alternative Investment Funds – The Cyprus Perspective
Cyprus, offers the full spectrum of legislative framework to all fund products, and the enactment of the Alternative Investment Funds Law (AIF Law) in July 2014 provides for a significant modernisation of the related legal framework and offers a comprehensive…
Cyprus – Switzerland Tax Treaty
On the 25th day of July 2014 Cyprus and Switzerland signed their first ever Double Tax Treaty (DTT) agreement. The ratification procedure of the DTT has finally been completed by both countries and as a result the DTT will come…
Russian Federal Law No376-FZ
The new Russian law on the taxation of controlled foreign companies (the 'CFC') and other anti-offshore measures, better known as the “De-offshorisation Law” (the 'Law') had received presidential assent on Monday 24 November 2014. The new amendments to the Russian…