We model your case against the 2026 Cyprus rule-set — 15% CIT (post-reform), 5% SDC on dividends (down from 17%), abolished DDD, repealed stamp duty, 8% flat tax on crypto, the unchanged Non-Dom regime (0% SDC for 17 years), the modified-nexus IP Box (approximately 3% effective on qualifying income), and the 60-day tax-residency rule. We then cross-reference your home jurisdiction (UK, Germany, France, USA, UAE, India, etc.) for exit-tax, CFC and DTT impact, and surface the cleanest legal path.
A two-page PDF summary listing the recommended structure (Cyprus Ltd, holding company, IP Box opt-in, Non-Dom registration), an indicative timeline based on your file, the first-year fixed-fee estimate, suitable bank or EMI options, and the relevant residency-form sequence. You can book a free 30-minute follow-up to walk through the recommendation with a Nexora adviser — no obligation to engage further.