Mauritius
Substance with international reach.

Regulated GBC and Authorised Company structures for principals who value credibility, treaty positioning and Africa–Asia connectivity.

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 vehiclesGlobal Business Company · Authorised Company
Tax profileUp to 15% headline; partial exemptions may apply
Indicative timing2–4 weeks
AdministrationLicensed management company required
  • Regional investment into Africa and Asia
  • International trading or service operations
  • Holding structures requiring regulated substance
  • Family investment and succession structures
  • Central management and control
  • Economic substance and local administration
  • Tax residence and treaty eligibility
  • Thailand CFC, remittance and reporting implications
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 Mauritius