Formation & structuring, one-off
A Cyprus Holding Company is the standard vehicle for groups consolidating international shareholdings inside the EU.
| Service | Fee |
|---|---|
| Holding company formation | €[confirm] |
| Group structure design & tax opinion | €[confirm] |
| Registered office & nominee services (if required) | €[confirm] |
| Bank account introduction | €[confirm] |
| Total, one-off | €[confirm], excl. VAT |
Ongoing services
| Service | Fee |
|---|---|
| Registered office & secretarial | €[confirm] / yr |
| Consolidated accounts & audit coordination | €[confirm] |
| Substance services (local director, office presence) | €[confirm] / yr |
Structural advantages
- 15% corporate tax on trading profits; participation exemption available on qualifying dividend income and disposal of shares
- No withholding tax on dividends paid to non-resident shareholders
- CFC and substance rules accounted for from formation, not retrofitted later
- Access to the EU Parent-Subsidiary Directive and Interest & Royalties Directive
On substance: every holding structure PMG sets up is designed with current substance requirements in mind. A Cyprus company that exists on paper only is a liability, not a saving.