Malta, isn’t only a highly regulated onshore jurisdiction within the European Union. It also offers a very favourable tax system in certain determinate situations. Consequently, it follows that various clients will only consider Malta as jurisdiction, once they verify such tax implications.
How to Include Malta in International Tax Planning.
Malta has an extensive network of double taxation treaties. Such network give rise to opportunities when using Malta companies in tax structure. There are no withholding taxes on interest and dividends in Malta. If used correctly, you can achieve tax neutrality with a Malta element in your structure.
At E&S, we have extensive experience in tax planning and Advisory. E&S have offered advice on numerous international tax structures using Malta. We are thus in a position to offer comprehensive advice on the Malta tax implications of certain intended cross border transactions. We are also able to assist our clients in understanding any Malta tax issues which may arise as a consequence of setting up Malta structures or as a consequence of setting up residence in Malta. Our main aim is to give our clients the necessary comfort and peace of mind prior to taking any decisions involving Malta taxation and hence allowing them to do so in the most tax efficient manner possible.
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