A one-off cross-border restructure, an opinion letter on the Cyprus tax position of a transaction you're about to do, a treaty-tie-breaker analysis, an Advance Tax Ruling outside the IP Box, an exit-tax analysis, or a written response to a Cyprus Tax Department enquiry. Every advisory opinion is grounded in cited statute, Tax Department circular, and OECD/EU guidance.
Written legal-and-tax position on a planned transaction or structure — investor-ready, board-ready.
Holdco moves, IP migrations, intra-group reorganisations, treaty tie-breaker analyses.
ATR application drafting, submission and follow-through with the Cyprus Tax Department.
Effective-tax-rate models, exit-tax analysis, dividend-distribution planning, NID modelling.
We listen, ask questions, and decide together whether the engagement is a fit. No charge, no obligation.
Scope, deliverable format, hourly or fixed fee, timeline, and the named adviser leading the work.
Written deliverable, signed by an ICPAC-registered tax adviser, with a follow-up call to walk through the conclusions.
Engagement scope confirmed in writing after a free 30-min call. Indicative advisory engagements from our pricing schedule.
From €199 + VAT. Full schedule at /pricing.
Every advisory opinion we issue is grounded in cited statute, Tax Department circular, and OECD/EU guidance, and is delivered with a clear methodology. If a successful Tax Department challenge invalidates our opinion purely because of our own error, we redo the work at no cost.
Engagements coordinated with ICPAC-registered Cyprus tax advisers and Cyprus Bar Association member-firm lawyers. MOKAS-aligned under Cyprus AML Law 188(I)/2007. See our editorial standards and disclaimer.
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Free 30-minute scoping call. Written engagement letter before any chargeable work.
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Reply within 24 hours from a senior adviser. No obligation, no upfront fee.