Your Situation
Why UAE entrepreneurs are considering a move
UAE 9% CIT Introduced (June 2023)
The UAE federal corporate income tax of 9% applies to taxable income exceeding AED 375,000 (approximately €93,000). Free Zone businesses retain a 0% rate but only on qualifying income — non-qualifying revenue is taxed at 9%. The definition of qualifying income is complex and frequently creates unexpected exposure.
FZE Structures vs EU HoldCo
Free Zone Entities (FZEs) were the UAE's equivalent of a holding structure for international income. However, FZE benefits do not extend to EU-sourced business, and European counterparties are increasingly requesting EU-based invoicing. A Cyprus HoldCo addresses this directly.
EU Market Access Requirements
Founders scaling into the EU market face increasing pushback from EU customers on UAE-based invoicing, particularly in financial services, SaaS, and professional services. A Cyprus company with VAT registration opens EU commercial relationships that a UAE entity cannot easily access.
Substance Over Tax Residency
The UAE has no personal income tax — but it also has no functioning non-dom equivalent. For founders who want to hold assets, receive dividends, or plan an exit without personal taxation, Cyprus non-dom status provides a structured, documented legal framework that the UAE's absence of tax law does not.
What Cyprus Offers You
Five reasons UAE founders choose Cyprus
- EU market access: invoice EU clients as an EU-registered entity
- Cyprus HoldCo as European parent of UAE operating company — tax-efficient dividend repatriation
- Non-dom 0% SDC on dividends — comparable to UAE personal tax position, but EU-documented
- 0% CGT on shares: important for UAE founders planning a European exit
- Cyprus-UAE no DTT, but Cyprus participates in the OECD Multilateral Instrument
Relocation Timeline
From decision to first day as a Cyprus tax resident
Review UAE CIT exposure on existing FZE, model Cyprus HoldCo layered above UAE OpCo, assess substance requirements.
LTD formed with UAE shareholder, bank account with SEPA access, registered office and director.
If personal relocation is planned: rent Cyprus property, satisfy 60-day rule. If non-resident structure: Cyprus company managed with local director.
TIC issued if resident; non-resident status documented if founder remains in UAE with Cyprus entity managed by local director.
Frequently Asked Questions
UAE-specific questions
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Get Started →Legal Disclaimer: This page is for general informational purposes only and does not constitute legal or tax advice. Tax laws change frequently. Always seek independent professional advice tailored to your specific circumstances before making relocation or tax planning decisions.