Cyprus
EU credibility and substance.

An established EU jurisdiction for holding, trading and intellectual-property structures where transparency and commercial presence matter.

Structure before speed.

A company is only useful when its governance, tax residence and commercial substance support the intended outcome.

We coordinate formation with regulated local providers and, where required, independent legal and tax counsel. Our role is to keep the cross-border workstream coherent for a Thailand-based principal.

Common vehiclePrivate Limited Company
Tax profile12.5% headline corporate tax
Indicative timing2–4 weeks
AdministrationEU accounting, audit and reporting framework
  • EU-facing trading operations
  • Holding and dividend structures
  • IP and technology operations
  • Substance-led regional headquarters
  • EU transparency and reporting
  • Director and management location
  • Local office and substance requirements
  • VAT, payroll and audit obligations
This guide is general information, not tax or legal advice. Rules, reporting duties and beneficial-ownership requirements change. A formal recommendation follows professional review of residence, control, income source and substance.

Test the structure against the real facts.

We will coordinate a confidential review with the appropriate specialists.

Discuss Cyprus