Cyprus Tax Reform 2026: Every Change, Explained
The most comprehensive overhaul of Cyprus tax law in 23 years. CIT raised to 15%, SDC on dividends cut to 5%, DDD abolished, stamp duty repealed, crypto taxe…
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Expert analysis on Cyprus corporate law, tax planning, IP Box strategy, and international structuring — for founders and advisers who need substance over fluff.
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The most comprehensive overhaul of Cyprus tax law in 23 years. CIT raised to 15%, SDC on dividends cut to 5%, DDD abolished, stamp duty repealed, crypto taxe…
Full walkthrough of Cyprus company incorporation — HE1 name approval, HE2/HE3 filing, M&AA drafting, Registrar fees (€165), and post-registration steps. Typi…
Complete guide to Cyprus corporate income tax at 15% (from 2026): taxable vs. exempt income, trading loss relief, group relief, Pillar Two impact, and the ke…
The Cyprus IP Box offers an 80% deduction on qualifying IP income, resulting in an effective tax rate of approximately 3% at the 2026 CIT rate. Full analysis…
Cyprus is one of Europe's premier holding company jurisdictions — zero withholding tax on outbound dividends (EU PSD), capital gains exemption on share dispo…
Article 20E introduces Cyprus's first bespoke crypto tax framework: 8% flat rate on disposal gains for individuals and companies, ring-fenced losses (cannot …
Complete guide to Cyprus VAT: 19% standard rate, registration threshold (€15,600), VIES monthly reporting, reverse charge on B2B services, OSS/IOSS for e-com…
Everything a Cyprus company must do each year: HE32 annual return, AGM obligations, corporate tax return, provisional tax, VAT filings, and beneficial owners…
Nominee services — nominee directors, nominee shareholders, and fiduciary arrangements — are a legitimate and widely used part of Cyprus corporate practice. …
Transparent breakdown of every cost in Cyprus company formation: Registrar fees (€165), professional fees, registered office, nominee services, banking setup…
Cyprus offers a 60-day tax residency option — a faster path to Cyprus residency for individuals not resident in any other country. The 2026 reform removed th…
How to extract profits from a Cyprus company tax-efficiently in 2026: SDC at 5% (domiciled) or 0% (non-dom), the optimal holding stack for international inve…
Cyprus introduced formal transfer pricing rules aligned with OECD guidelines. All related-party transactions must be conducted at arm's length. Documentation…
Cyprus offers a 120% R&D super-deduction on qualifying research expenditure, extended to 2030. Combined with the IP Box's approximately 3% effective rate on …
The Cyprus NID allows companies to deduct a notional interest return on new equity capital from taxable income — reducing CIT without incurring actual intere…
The Cyprus non-domicile regime exempts qualifying individuals from Special Defence Contribution (SDC) on dividends and interest for up to 17 years. Combined …
Cyprus is frequently described as a tax haven — but this mischaracterises how Cyprus actually works. Here is a factually grounded answer to one of the most c…
Substance is not a box-ticking exercise. Understanding what genuine economic substance means in Cyprus — and what happens without it — is essential for any i…
Cyprus reformed its personal income tax system in 2026, raising the tax-free threshold to €22,000 and keeping the top rate at 35%. High earners relocating to…
Cyprus offers one of Europe's most attractive IP Box regimes for SaaS and software businesses. Copyrighted software and computer programs qualify for an 80% …
Cyprus has become one of Europe's top destinations for digital nomads and remote workers. A Cyprus company combined with non-dom status can reduce total tax …
Cyprus has emerged as a leading European jurisdiction for high-net-worth family office structures. Zero CGT on securities, no inheritance tax, no gift tax, z…
Hiring your first employee in Cyprus involves navigating employment contracts, social insurance registration, payroll compliance, and a statutory framework t…
Cyprus employers must navigate a multi-layered payroll framework covering Social Insurance, GHS/GESY, the Social Cohesion Fund, Redundancy Fund, and HRDA con…
The Cyprus Beneficial Ownership (UBO) Register requires all Cyprus-registered companies, European SEs, and partnerships to identify and register their ultima…
Cyprus has concluded 67 double tax treaties, making it one of the most treaty-connected small EU member states. Combined with domestic legislation imposing 0…
Every Cyprus company must prepare IFRS-compliant financial statements. Most companies need a full statutory audit, but a limited review-engagement alternativ…
Cyprus levies no capital gains tax on the disposal of shares in companies — making it one of Europe's most attractive jurisdictions for founders and investor…
US founders can fully own and operate a Cyprus company. This guide covers FBAR, FATCA, and PFIC reporting requirements, the impact of the US-Cyprus tax treat…
From choosing the wrong company type to ignoring substance requirements, these are the most common and costly mistakes founders make when forming a Cyprus co…
Opening a corporate bank account is the most underestimated challenge in Cyprus company formation. This guide covers every bank option — Bank of Cyprus, Euro…
The UK's abolition of non-domicile status has made Cyprus the leading alternative for UK-connected entrepreneurs. This guide covers everything UK founders ne…
The Yellow Slip (MEU1 Registration Certificate) confirms an EU/EEA/Swiss citizen's right to reside in Cyprus under EU Directive 2004/38/EC. Required within 3…
The Pink Slip is the temporary residence permit for non-EU/EEA nationals staying in Cyprus for more than 90 days. Full 2026 guide: categories, required docum…
Complete guide to filing Cyprus tax returns: personal (IR1), corporate (IR4), provisional (IR6), employer (IR7). Deadlines, penalties, TAXISnet, and the 2026…
From 2026, every Cyprus tax-resident aged 25+ must file an IR1 — even if income is below the €22,000 threshold. Deadlines, deductions, the 50% / 20% expat re…
Tax residency registration without Non-Dom is incomplete; Non-Dom without tax residency registration is impossible. We sell both as a single bundle for €699 …
Cyprus corporate bank account opening in 2026 is rarely 5 days. Bank-of-Cyprus, Hellenic and Astrobank routinely run 6–12 weeks for non-EU UBOs. Here is what…
Cyprus raised CIT to 15% from 2026 to align with OECD Pillar Two. But IP Box stays at approximately 3%. What does the Qualified Domestic Minimum Top-up Tax (…
Everything about Cyprus tax residency (183-day and 60-day rules), Non-Dom status (0% SDC for 17 years), the 50% high-earner exemption, PIT bands, and how to …
Two ways to delegate corporate authority in Cyprus — a nominee director (a full Companies Law Cap. 113 director) or a Power of Attorney (a representation arr…
The OECD-mandated nexus fraction is the single biggest determinant of how much of your IP profit qualifies for Cyprus's approximately 3% effective rate. This…
How does the Cyprus IP Box actually work in numbers? This guide walks through three end-to-end calculations — €600,000 IP profit at 100% nexus (full approxim…
How does Cyprus personal income tax actually land for a non-dom in 2026? This guide walks through three end-to-end examples at €60,000, €150,000, and €500,00…
Three different forms with confusingly similar names — TD 38 declares Non-Dom status, TD 38Qa is the supporting questionnaire, TD126 issues a Tax Residency C…
Cyprus's 2026 tax reform introduced a way to extend the Non-Dom SDC exemption past the standard 17-year cliff. Two €250,000 fees secure five additional years…
Cyprus permits a profitable group company to absorb the current-year tax losses of a 75%+ owned sister company — provided both are Cyprus tax-resident and wi…
Cyprus widened its small-company audit alternative from 6 February 2026: net turnover threshold rose to €300,000. Companies meeting all the eligibility crite…
Cyprus DDD requires companies to distribute ≥70% of accounting profit within 2 years of year-end, or face Special Defence Contribution (SDC) on the deemed-di…
A growth-stage SaaS company at €5M ARR can compress its effective Cyprus tax rate substantially via the IP Box regime — but only if (a) the underlying softwa…
The Cyprus IP Box regime was drafted around classic copyrighted software — but its language extends naturally to smart-contract code, on-chain protocol imple…
The Cyprus participation exemption can take both incoming-dividend Corporate Income Tax and Special Defence Contribution down to zero on qualifying foreign-s…
Cyprus has one of the cleanest capital-gains regimes in the EU: 0% on the disposal of shares and securities, 20% on gains from Cyprus-situs immovable propert…
A foreign company that operates from Cyprus — even informally, even before incorporating a Cyprus entity — risks creating a Cyprus permanent establishment (P…
EU vs non-EU buyer rules, the COMM 145 Council of Ministers permit, 30–60 day timeline, transfer fees, VAT 19% on new builds, stamp-duty repeal, the 2-proper…
When to hold Cyprus property through a Cyprus Ltd: 0% capital gains on share disposals where Cyprus immovable property is less than 50% of asset value, the '…
How the Article 8(23A) 50% income-tax exemption works in 2026: €55,000 annual remuneration threshold, 15-year prior non-residency rule, 17-year duration, cha…
Cyprus withholding tax in 2026: 0% on outbound dividends and interest to non-residents in normal cases, royalty mechanics (10% for use in Cyprus, 5% for film…
Sole trader (αυτοεργοδοτούμενος) vs Cyprus Ltd: the breakeven calculation in 2026. Social-insurance 20.4%, audit threshold €70k, dividend vs salary structuri…
End-to-end Cyprus freelancer playbook for 2026: TIC registration, PIT bands, Social Insurance minimum-income tables, GHS 4%, €15,600 VAT threshold, OSS / IOS…
Cyprus Digital Nomad Visa scheme as it stands in 2026: €3,500 monthly net income threshold, +20% spouse / +15% per child uplift, 5–7 week processing, 3-year …
How to operate an e-commerce business through Cyprus in 2026: VAT registration, OSS for B2C EU sales, IOSS for low-value imports (≤€150), marketplace facilit…
How to relocate from Germany to Cyprus in 2026: navigating §6 AStG Wegzugsteuer (German exit tax), the 7-year deferral mechanism, GmbH alternatives via Cypru…
How Israeli tech founders use Cyprus in 2026 — IL-CY DTT mechanics, pre-IPO holding stacks for Israeli software companies, the Cyprus IP Box approximately 3%…
How Greek founders use Cyprus in 2026 — the GR-CY tax treaty (0% WHT on dividends in many cases), Cyprus Ltd vs Greek IKE / AE, the 22% Greek CIT vs 15% Cypr…
Cyprus as an EU base for Indian / NRI founders in 2026: post-2017 India-Cyprus DTT mechanics, FEMA / RBI Liberalised Remittance Scheme limits, the Cyprus IP …
Statutory and common-law duties of Cyprus directors under Companies Law Cap. 113, personal liability for unpaid tax / VAT / social insurance, wrongful and fr…
What goes into a Cyprus shareholders' agreement: governing law (Cyprus vs English), pre-emption / ROFR / ROFO mechanics, drag-along and tag-along, founder ve…
How Cyprus companies stay GDPR-compliant in 2026 — when a DPO is mandatory, what goes in the Article 30 ROPA, when a DPIA is required, the 72-hour breach-not…
The Cyprus Stamp Duty Law was fully repealed by Law 239(I)/2025, effective 1 January 2026. Contracts, share-purchase agreements, intercompany loans, and prop…
The Cyprus Deemed Dividend Distribution (DDD) regime — which deemed 70% of after-tax profits to be distributed to Cyprus-resident shareholders after 2 years …
From 1 January 2026, Cyprus introduces a flat 8% Special Defence Contribution rate on crypto-asset disposal gains realised by Cyprus-resident individuals, re…
The Cyprus Special Defence Contribution rate on dividends paid to Cyprus-resident, domiciled shareholders has been cut from 17% to 5% effective 1 January 202…
The Cyprus Capital Gains Tax Law has been amended from 1 January 2026: the personal-residence exemption ceiling has been raised, the 50% relief for property …
A full P&L walkthrough of how a €10M-ARR SaaS company taxes under the Cyprus IP Box: nexus fraction, qualifying-profit calculation, the practical effective r…
Eurobank's acquisition of Hellenic Bank (completed Q4 2025) created Cyprus's largest bank by assets — €28bn+ balance sheet. We walk through what changed for …
Detailed 2026 comparison of EMI accounts (Wise Business, Revolut Business, Payset, Airwallex) vs Cyprus traditional banks (Bank of Cyprus, Eurobank, AstroBan…
Cyprus's Crypto-Asset Service Provider (CASP) authorisation under MiCA (Regulation EU 2023/1114). End-to-end walkthrough of the 6-12 month application proces…
Side-by-side comparison of Cyprus and Estonia for European SaaS founders in 2026. Corporate tax (Cyprus 15%, ~3% effective under IP Box vs Estonia 22% deferr…
What 'substance' actually means in a Cyprus tax context in 2026: local director, board meetings, office, employees, books and records. We walk through the pr…
Complete 2026 guide to registering for the Union OSS in Cyprus: when the €10,000 EU-wide threshold matters, quarterly OSS return, supported transaction types…
Cyprus and the UAE are the two most-considered low-tax jurisdictions for European and global founders post-2024. We compare 15% CIT + IP Box (Cyprus) vs 9% C…
The Cyprus 2026 tax-reform package introduced a 20% super-deduction on qualifying R&D expenditure. We walk through the eligible categories, the cap, how it s…
Moving copyrighted software from a UK Ltd to a Cyprus IP HoldCo: HMRC exit-charge mechanics, OECD nexus continuity, transfer-pricing valuation, the optimal s…
Two of the EU's premier holding jurisdictions side by side: Cyprus 15% CIT + unconditional participation exemption + 0% outbound WHT vs Ireland 12.5% CIT + S…
Cyprus IP Box (80% exemption, effective approximately 3%) vs Portugal Patent Box (50% exemption, effective approximately 10%) under the 2026 regimes. Eligibi…
How Cyprus taxes staking rewards, liquidity-pool earnings, lending yield, and other DeFi income post-2026 reform. The 8% flat-rate election for business inco…
Step-by-step guide to opening Revolut Business for a Cyprus Ltd in 2026: KYC pack, plan selection, multi-currency IBANs, integration with Cyprus VAT / IR4 ac…
Running Amazon FBA from a Cyprus Ltd in 2026: when Cyprus VAT applies, when destination VAT applies, OSS vs Pan-EU stocking registrations, IOSS for low-value…
Cyprus (EU member, 15% CIT, IP Box 3%, 17-year Non-Dom) vs Switzerland (non-EU, 12-21% cantonal CIT, lump-sum tax for non-Swiss-source income, Schengen but n…
The 2026 Cyprus Permanent Residence routes: Category F (fast-track via property investment + proven income) vs Category 6.2 (regular employment-based) vs the…
Cyprus's Advance Tax Ruling regime gives binding written confirmation of how the Tax Department will treat a transaction. We walk through the 90-day process,…
Cyprus transposed the OECD GloBE rules (Pillar Two) effective 1 January 2025 — IIR, UTPR, and QDMTT now apply to MNE groups with consolidated revenue ≥ €750M…
Cyprus's Alternative Investment Fund framework (Law 124(I)/2018 + AIFM Law 56(I)/2013) offers three fund vehicles: AIF (CySEC-authorised), AIF-LNP (limited n…
DAC8 (Directive (EU) 2023/2226) extends EU automatic exchange of information to crypto assets. Cyprus CASPs must collect, verify, and report customer transac…
US citizens / green-card holders running Cyprus structures face four overlapping issues: (1) worldwide US taxation, (2) Subpart F + GILTI inclusion of foreig…
Cyprus's tonnage-tax regime (Merchant Shipping Law 44(I)/2010, EU-approved) lets qualifying shipping companies pay tax based on the tonnage of their vessels …
Cyprus tax treatment of digital assets in 2026 depends entirely on classification: currency-like crypto, security tokens, utility tokens, NFTs, stablecoins (…
DAC6 (Directive 2018/822 / EU 2018/822, transposed in Cyprus by Law 41(I)/2021) requires intermediaries and taxpayers to disclose reportable cross-border tax…
CRS (OECD Common Reporting Standard) and the EU's DAC2 automatic exchange framework mean that Cyprus banks, EMIs, brokers, and CASPs report your account info…
Sell-side and buy-side Cyprus M&A in 2026: share sale (0% capital-gains under titles exemption) vs asset sale (CIT on uplift), earn-out tax characterisation,…
Cyprus has tightened the screws on Missing-Trader-Intra-Community (MTIC) fraud — Cyprus Tax Department applies Kittel-style joint-and-several liability where…
Cyprus has 65+ active double-tax treaties. We walk through six worked examples showing how the treaty applies in practice: UK (post-Brexit), US (1985 treaty …
Moving to Cyprus from a high-tax EU jurisdiction can trigger an exit tax at the departure country. We compare the five most-common origin countries (UK, Germ…
Cyprus is increasingly used as a base for single-family and multi-family offices serving HNW families across EU, MENA, FSU. We walk through typical structure…
Three different Cyprus statuses, three different purposes. We disentangle (a) Residence by Investment routes (post-CIP closure), (b) Permanent Residence via …
How the AIFMD marketing + management passports work in practice for Cyprus-authorised AIFMs: notification procedure, host-state competent authority interacti…
Cyprus offers one of Europe's most competitive audiovisual incentive packages: up to 35% cash rebate OR 35% tax credit on eligible Cyprus-spend, plus VAT rel…
Three worked examples showing exactly how Cyprus tonnage tax is calculated under the Schedule to Merchant Shipping Law 44(I)/2010: a 25,000-NT cargo ship, a …
When you're tax-resident in two countries simultaneously (e.g., Cyprus 60-day rule + UK 183-day SRT), Cyprus's DTAs apply Article 4 OECD MTC tie-breaker test…
Article 135(1) of EU VAT Directive 2006/112/EC exempts most financial services from VAT — transposed in Cyprus by VAT Law 95(I)/2000. We walk through the sco…
Cyprus transposed the EU ATAD I interest-limitation rule (Article 4 of ATAD) into Article 11A of Income Tax Law 118(I)/2002. Net borrowing costs are deductib…
Cyprus transposed the EU ATAD I CFC rule (Article 7) into Article 35A of Income Tax Law 118(I)/2002. We walk through when a foreign subsidiary becomes a CFC,…
CySEC authorises Cyprus Investment Firms (CIF) under the Cyprus Investment Services and Activities and Regulated Markets Law 87(I)/2017 — transposing MiFID I…
Cyprus's Central Bank (CBC) authorises Electronic Money Institutions (EMI) and Payment Institutions (PI) under the Payment Services Law 31(I)/2018 (transposi…
Cyprus law reserves certain activities exclusively to Cyprus Bar Association-licensed advocates: court appearances, conveyancing, certain affidavits, certifi…
Cyprus directors under Companies Law Cap. 113 carry statutory fiduciary duties + statutory criminal-liability exposure (AML, tax, regulatory). We walk throug…
Cyprus Companies Law Cap. 113 permits a wide range of share classes — ordinary, preference, voting / non-voting, redeemable, convertible. We walk through the…
Cyprus's Ultimate Beneficial Owner Register (under AML Law 188(I)/2007 as amended) is mandatory for all Cyprus companies. ≥25% beneficial ownership threshold…
Post-Brexit, services from a Cyprus Ltd to UK customers fall outside EU VAT scope — but specific rules apply. We walk through the B2B reverse-charge mechanic…
Cyprus Tax Department audit procedure: audit notification, document request, on-site review, assessment, objection (3 months), settlement, Tax Tribunal, Supr…
Cyprus stacks four R&D-related incentives in 2026: (1) 20% super-deduction on qualifying R&D, (2) IP Box 80% exemption on qualifying IP-derived profit, (3) R…
What life looks like AFTER CySEC authorisation: capital-adequacy monitoring under IFR / IFD frameworks, quarterly + annual reporting, AML / governance / risk…
Cyprus CySEC authorises Crowdfunding Service Providers (CSP) under EU Regulation 2020/1503 (the European Crowdfunding Service Providers Regulation, ECSPR). O…
Cyprus applies the EU eIDAS Regulation (Regulation 910/2014, amended by 2024/1183 'eIDAS 2.0') directly. Three signature tiers (SES / AdES / QES) — when each…
Cyprus's CySEC has been one of the first EU authorities to open CASP authorisation under MiCA (Regulation 2023/1114). We compile the top 15 practical questio…
Five anonymised D&O insurance case studies from recent Cyprus director claims: regulatory investigation, AML breach allegation, wrongful trading suit, GDPR f…
Cyprus has no inheritance tax + no gift tax + no wealth tax — but Cyprus Wills and Succession Law Cap. 195 applies forced-heirship rules to Cyprus-domiciled …
Cyprus Companies Law Cap. 113 (Sections 57-58A as amended) permits share buybacks subject to the distributable-profits test. Tax treatment under Article 9(1)…
Cyprus Tax Residency Certificate (TRC) is the official Cyprus Tax Department document confirming a person's Cyprus tax residency for a specific year + DTA ap…
Cyprus 2026 framework treats company profits + dividend distributions distinctly. Founders + holding companies that REINVEST profits — rather than distribute…
Cyprus Companies Law Cap. 113 (Section 64) permits capital reduction subject to court approval or solvency-statement procedure. Combined with the 2026 stamp-…
Cyprus AIF framework permits UMBRELLA structures with multiple sub-funds (compartments / portfolios). Each compartment is legally segregated from the others …
Complete playbook for setting up a Cyprus IP HoldCo: entity formation, substance setup, IP transfer, transfer-pricing study, IP Box methodology, optional ATR…
Founders exiting via IPO can list a Cyprus parent on the Cyprus Stock Exchange (CSE), London Stock Exchange (LSE), NASDAQ, or Euronext. We walk through the l…
Combining a US LLC parent with a Cyprus subsidiary creates hybrid-entity classification issues. We walk through the US check-the-box mechanism, Cyprus's trea…
Cyprus's pension tax framework is uniquely favourable for retirees. Foreign pension income taxed at 5% flat above €3,420/year (vs progressive 0-35% normal ra…
Cyprus permits inbound + outbound redomiciliation of corporate entities (continuation of legal personality across borders). Companies Law Cap. 113 Articles 3…
Cyprus Income Tax Law 118(I)/2002 Article 9 sets out the framework for deductible expenses. We walk through what's deductible (wholly + exclusively for busin…
Cyprus taxes ESOP / employee stock options at distinct events: grant (typically no tax), vesting (typically no tax), exercise (potential PAYE on spread), sal…
Cyprus Personal Data (Processing) Law 125(I)/2018 supplements EU GDPR (Regulation 2016/679). Cyprus DPC enforces with fines up to €20M or 4% global turnover.…
Cyprus's Notional Interest Deduction (NID) under Article 9B Income Tax Law 118(I)/2002 allows a deduction for notional interest on NEW EQUITY introduced into…
Cyprus businesses ceasing VAT-able activity or falling below thresholds can deregister from VAT under VAT Law 95(I)/2000. We walk through the conditions, app…
Cyprus founders can monetise share holdings PRE-EXIT through secondary share sales to investors. Under Article 9(1)(g) titles exemption, the disposal is 0% C…
Cyprus's English-law-aligned contract law makes tech-startup commercial agreements straightforward to draft + enforce. We walk through SaaS terms of service,…
Cyprus Data Protection Commissioner (DPC) has issued €1M+ in cumulative fines since GDPR took effect. We walk through the recent enforcement landscape, notab…
Cyprus founders running operating companies face the in-house-vs-outsourced payroll decision. We walk through Cyprus's payroll compliance landscape, the outs…
A Cyprus Shareholders' Agreement (SHA) supplements M&AA with private commercial terms. We walk through 14 essential provisions: voting + reserved matters, pr…
Cyprus directors / shareholders sometimes use director's loan accounts (DLA) for short-term liquidity from the company. We walk through Cyprus tax treatment …
Cyprus capital allowances under ITL 118(I)/2002 + Capital Allowances Regulations: standard depreciation rates per asset class (plant + machinery, vehicles, c…
Cyprus group reorganisations + mergers + demergers + transfers of assets can qualify for tax-neutral treatment under EU Merger Directive (Directive 2009/133/…
Cyprus's pre-MiCA VASP (Virtual Asset Service Provider) register closed to new applicants on 30 December 2024. Pre-existing VASP registrants operate under Mi…
Walking through the Cyprus Article 11A interest-limitation rule in practice: a Cyprus Ltd with €10M EBITDA, €5M net borrowing costs, faces a cap on interest …
Cyprus Research and Innovation Foundation (RIF) administers grants supporting Cyprus-based R&D + innovation activity. We walk through the active programmes (…
Cyprus Social Insurance Law 59(I)/2010 provides pension + unemployment + sickness + maternity + survivor benefits. We walk through the 2026 contribution rate…
Cyprus founders + freelancers choose between self-employment (sole trader) and a Cyprus Ltd. We compare tax mechanics, social insurance, liability, administr…
Cyprus anti-abuse provisions target dividend-stripping arrangements (acquiring shares to extract dividends + accelerate share-disposal losses). Section 33 IT…
Cyprus VAT applies to goods imported from non-EU countries. We walk through the import VAT mechanism (19% standard), reverse-charge on services, IOSS for low…
Cyprus businesses with BOTH VAT-able + VAT-exempt supplies face partial-exemption rules — input VAT on overhead is recoverable only in proportion to taxable …
Cyprus combines a Digital Nomad Visa (introduced 2021) with the 60-day tax-residency rule + Non-Dom regime — the EU's most flexible framework for digital nom…
Cyprus NFT taxation depends on the NFT's underlying characterisation: collectible artwork, utility token, game-asset, music-streaming rights, security-token,…
Cyprus holding companies often use leverage to fund subsidiary acquisitions. Interest deductibility is governed by Section 11(7) ITL (general framework), Art…
Cyprus founders navigate diverse funding instruments + round taxonomy. We walk through SAFEs (Simple Agreements for Future Equity), convertible notes, pre-se…
Complete guide to closing a Cyprus company in 2026: members' voluntary liquidation (solvent), creditors' voluntary liquidation (insolvent), court-ordered win…
What a Cyprus company really costs over five years once you add annual returns, mandatory audit, accounting, secretary and registered office to the one-off i…
A realistic day-by-day timeline for forming a Cyprus company in 2026 — from KYC and name approval through incorporation to an open corporate bank account.
How traditional Cyprus banks compare with EMIs for a company account in 2026 — approval times, documentation, and what actually drives a yes.
Which foreign companies can redomicile into Cyprus, how the continuation process works, and how tax continuity is preserved without dissolving the entity.
A practical playbook for building genuine economic substance in Cyprus — office, local director, board governance and payroll — in the ATAD-3 and Pillar Two …
How a SaaS founder should structure a Cyprus software company in 2026: the ~3% effective IP Box rate, operating vs holding-company designs, the substance you…
A practical 2026 guide to launching a forex/CFD brokerage in Cyprus: the CySEC Cyprus Investment Firm (CIF) licence, MiFID II passporting across the EU/EEA, …
An accurate 2026 guide to gaming in Cyprus: the National Betting Authority framework, Class A (land-based) and Class B (online sports betting) licences — and…
A 2026 guide to building a crypto/Web3 business in Cyprus: authorisation as a Crypto-Asset Service Provider (CASP) under MiCA via CySEC, the 8% flat crypto-g…
A plain-English breakdown of the Cyprus Non-Dom regime: up to 17 years of 0% Special Defence Contribution on worldwide dividends, interest and rent, with onl…
How the Cyprus IP Box ~3% effective rate is actually computed. A fully numeric walkthrough of the OECD Modified Nexus fraction — qualifying expenditure, the …
How remote workers and digital nomads become Cyprus tax resident and claim Non-Dom status. The 60-day vs 183-day tests, how remote employment income is taxed…
The three common Cyprus holding-company structures — pure holdco, IP holdco and mixed — and how each uses the participation exemption, 0% outbound WHT, and t…
The complete Yellow Slip (MEU1) application for EU/EEA nationals: a full document checklist, the day-by-day timeline, the €20 fee, and the ordered steps from…
A number-first comparison of Cyprus, Malta and Estonia for a holding or IP company in 2026: corporate tax, effective rate, dividend treatment, IP regime, res…
A complete overview of anti-money-laundering compliance in Cyprus in 2026: the governing Law 188(I)/2007, the MOKAS Financial Intelligence Unit, the four sec…
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