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Available documents in the registered section , Obligations for a Cyprus Company to the Cyprus Authorities , please register in our agent database in order to gain access to our documents.

Why to choose Cyprus to do business

Why to choose Cyprus to do business

Companies Trusts and Specialised Entities

One of the largest departments of the organization is that of the company division, which covenants in particular with the registration and administration of companies, both local and offshore. A broad selection of jurisdictions is available, including but not excluded to the following:

It provides preliminary advice and undertakes all legal formalities necessary for company formation and their maintenance. The firm prepares the annual returns of its foreign clients' Cypriot companies, which must be filed with the Registrar of Companies.
Moreover, it gives advice and the necessary support and services for international business transactions from the stage of preliminary negotiations until the stage of their completion.


Currently, there is tough competition among the better and more popular holding jurisdictions.
In the last few years, ‘Cyprus’, a well established international centre, has been critically assessed of constituting an attractive location for holding companies from a tax perspective, among others.

  • Cyprus laws and practices are now harmonized with the EU standards.
  • Cyprus is an ideal location for establishing an international holding company.
  • A uniform 10% corporate tax rate, applies to the global income, had been levied.

The new taxation prominence on Company is based on residency.
A company is only considered to be Cyprus resident if its business is mainly managed and controlled in Cyprus.

Benefits of holding companies vary and among other things, include, tax exceptions as well as the corporate tax benefits by virtue of the new tax legislation.

Cyprus Branches of Companies
When Cyprus joined the EU, double taxation relief become accessible to all Cyprus branches, of companies resident in other member states within the EU, since there is no inequality between the companies' resident in a Member state and the branches of such companies' residence in another member state.

To come to a conclusion, Cyprus, one of the smallest European low tax jurisdictions, is a suitable place for locating an intermediary company due to the island’s combination of tax treaties and low-tax regime. Dividends can flow through the Cyprus company totally tax free and the company can be used to take advantage of the extensive network of double tax treaties.