Custom Quote
For complex structures, multi-entity setups, or bespoke requirements — tell us about your situation and we will provide a tailored engagement proposal.
We build the quote against the 2026 Cyprus rule-set — 15% corporate income tax, 5% SDC on dividends for domiciled residents (0% for Non-Doms for 17 years), abolished Defence on Deemed Dividend Distribution, repealed stamp duty, the 8% flat tax on crypto gains, the modified-nexus IP Box at approximately 3% effective on qualifying income, and the 60-day tax-residency rule. Every line is itemised: incorporation, registered office, company secretary, nominee director (optional), bookkeeping, statutory audit (or ISRE 2400 review where eligible), VAT/VIES registration, payroll, and personal tax (IR1) filings.
We coordinate with ICPAC-registered accountants and Cyprus Bar Association lawyers under one fixed-fee engagement letter. No surprise drawdowns, no per-call billing, no opaque disbursements. You receive a single PDF quotation with a clear engagement scope, expected timeline (10–15 working days for incorporation, 4–8 weeks for residency including Yellow Slip / Pink Slip + TIC + Non-Dom IR.D), and the precise list of KYC documents we will request. Engagement begins only once you sign — there is no charge for the scoping call or the written quotation.
UK founders post-Non-Dom abolition restructuring for Cyprus 17-year Non-Dom; German / French / Dutch SaaS founders eyeing Cyprus IP Box for software IP; US founders running GILTI-exposed CFCs and wanting an EU operational base; UAE residents seeking EU passporting + treaty network access; crypto traders capitalising on the 8% flat-rate or the 0% private-investor characterisation; family offices using Cyprus as a tax-clean European HoldCo over global subsidiaries.