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  • The truths and myths about offshore companies
  • Who is eligible to set up an offshore company
  • Choosing the right type of an offshore company
  • Choosing the correct offshore jurisdiction
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Seychelles general information

Seychelles: general information

Presentation of general information about the Seychelles, peculiarities of the historical, political and economic development, investment environment, business industry and set of financial instruments as well as international reputation of the jurisdiction

Seychelles general information
Why to choose Seychelles?

Why to choose Seychelles?

Detailed research of features and advantages of all business companies types which could be incorporated within the jurisdiction of the Seychelles

Why to choose Seychelles
Seychelles: IBC & CSL

Seychelles: IBC & CSL

The brochure is devoted to research registration process, capabilities, tax rates and application practice in business environment of Seychelles IBC and CSL.

Why to choose Seychelles
Seychelles: Foundations, Trusts, Limited Partnerships

Seychelles:
Foundations, Trusts, Limited Partnerships

The brochure deepen in the essence of the next types of Seychelles entities such as foundations, trusts and limited partnerships which are considered suitable vehicles for international tax planning, assets protection and other financial activities.

Why to choose Seychelles
Seychelles: Cooperation between companies

Seychelles:
Cooperation between companies and banks

The brochure provides considering relationships between banks and entities that is a natural extension of opening an entity in the Seychelles.

Why to choose Seychelles
Seychelles: frequently asked questions

Seychelles:
frequently asked questions

The brochure summarizes the survey about Seychelles offshore and answers some frequently asked questions, which arise when acquainting with the Seychelles jurisdiction.

Why to choose Seychelles
UNITED KINGDOM: OVERALL REVIEW

UNITED KINGDOM: OVERALL REVIEW

In this brochure, examples of practical use of an LTD are examined eg provided detailed information on a business purposes as using an LTD as company receiving dividends, holding company and nominee or agent. Another one issue is to study complex guidance how to rule an LTD and LLP.

UNITED KINGDOM: OVERALL REVIEW
UNITED KINGDOM: LTD & LLP (part 1)

UNITED KINGDOM: LTD & LLP (part 1)

This brochure presents an information about tax rates and tax residence status in the UK. In addition, it is studying the details of the most demanded business structures, particularly Private Company Limited by shares (LTD) and Limited Liability Partnership (LLP)

UNITED KINGDOM: LTD & LLP (part 1)
UNITED KINGDOM: LTD & LLP (part 2)

UNITED KINGDOM: LTD & LLP (part 2)

In this brochure, examples of practical use of an LTD are examined eg provided detailed information on a business purposes as using an LTD as company receiving dividends, holding company and nominee or agent. Another one issue is to study complex guidance how to rule an LTD and LLP.

UNITED KINGDOM: LTD & LLP (part 2)
Public Limited Company

Public Limited Company

In this brochure, the leading experts of our company provide answers on the most popular questions related to this business structure. There is an excellent possibility to fill up your knowledge by information about doing business with the help of Public Limited Companies, receive an explanation on the rules how to sell the company's shares on the stock market and other advantages.

Public Limited Company
Scotland: WHY NOT?

Scotland: WHY NOT?

This brochure fulfilled the UK jurisdiction series with Scottish business structures. All the requirements, practice of application, advantages, main differences between the UK LLP and Scottish LP and other issues are examined in this survey.

Scotland: WHY NOT?
Hong Kong: Comprehensive Review

Hong Kong: Comprehensive Review

This brochure dedicated to inform about business atmosphere and business facilities in the studied jurisdiction, explain the reasons of popularity of Hong Kong entities for tax-optimisation purposes. Familiarity with this brochure is the first step on a way to the possibility of carrying on successful business in stable economic conditions of Asian region with maximum benefits.

Hong Kong: Comprehensive Review
Hong Kong: Choosing Business Vehicles

Hong Kong: Choosing Business Vehicles

The present research concerns the most popular forms of business organization in Hong Kong, as well as the basic rules of their use for the purposes of breaking down the tax burden. The brochure contains a number of clarifications regarding the demand for offshore structures in Hong Kong, a minimum set of requirements for the establishment and registration procedures.

Hong Kong: Comprehensive Review
Hong Kong: Frequently Asked Questions

Hong Kong: Frequently Asked Questions

This brochure summarizes the research concerning the reasons of popularity, business opportunities, tax rates, companies and partnerships in Hong Kong. This is an interview where our manager answers frequently asked questions, appeared during the time of studying the Hong Kong jurisdiction.

Frequently Asked Questions
Business Purposes: Regular Practice

Business Purposes: Regular Practice

The brochure says on corporate and classical targets of Hong Kong enterprises, provides examples of practical use of the enterprises established in Hong Kong. Here we specify the long-term and short-term goals of business structuring, as well as the use of Hong Kong enterprises to operate as a trading company, the company, opening a representative office in China and a holding company, which owns the rights to ownership of the company in China.

Business Purposes: Regular Practice
UnitedKingdomOverallReviewBrochurePopup
HongKongOverallReviewBrochurePopup

Make a Successful Business with the UK through an Offshore Company

September 3, 2015

Make a Successful Business with the UK through an Offshore Company

Make a Successful Business with the UK through an Offshore Company

More and more smart entrepreneurs use offshore companies formation in order to get access to loyal taxation as well as to guaranteed privacy. There is one important issue which should be considered before choosing a jurisdiction for company incorporation – whether the country promotes UK trade.

The issue of creating an offshore company in order to trade with the UK demands smart approach and specific knowledge. However doing business with the UK having an offshore company in many ways is the best option. Let’s find out the best way to get involved in UK trade for non-residents.

  1. Where to register an offshore company

If it is your goal to have a business with the UK, this jurisdiction should not be used as a destination for your company registration, of course if you don’t want to incur an immoderate UK corporation tax on your profits.

If trading is not the activity of a non-resident company recorded in the UK then its profits are not levied with a corporate tax even if the profit is of British origin. However British law makes a significant distinction between trading “with the UK” and “in the UK”. If company’s activity is defined as trading with the UK income tax is not charged.

Actually it is not so simple to define the concept of trading in the UK. Howbeit, the key element is where all the contracts are signed. If the contracts are signed outside the country and the company doesn’t have a stable office then the income will be untaxed as long as the company acts overseas to gain profit.

  1. Permanent establishment

UK trade is not the only indicator for British legislation in terms of charging taxes. If a non-resident company uses a permanent establishment (agency or branch) for trading in the UK then direct or indirect trading income which the branch or agency receives is a subject to taxation.

So one should make it clear which attributes turn the non-resident company into an establishment, agency or branch. As it is mentioned in the Corporation Tax Acts branch, agency, factorship, management or receivership are considered as indicators of permanent performance. If your company has a stable office in the UK then it is treated as a branch/agency. It really makes sense to find out whether your business is considered to have a permanent establishment. Otherwise you may be a subject to UK corporate income tax.

If a non-resident company employs a UK dependent representative (agent) it is also considered as a legal establishment. The definition of “an agent” according to British law is not simple and straightforward so there is a need to be very attentive while deciding whether your company has a UK dependent representative. Just to give a concept, an agent is a person who represents the principal and has the right to carry out legal actions with the third parties on behalf of the principal. The relationships between the agent and the principal are defined with the help of an agreement, called Agency Agreement for Sale of Goods or Services, which may exist in writing or be oral. If the company’s representative has no power to perform legal actions, such as contract concluding, the company is not considered as an agency.

  1. Double Taxation Treaties

It should be noted that if company owner’s resident country has double taxation agreement with the UK then the issue of taxation would be resolved according to domestic law and treaty’s provisions. Domestic law may charge where a treaty would exempt.

It is very important to know whether the home country has mutual agreements with the UK and to carefully study them. Usually if a non-resident company has no any permanent establishment within the UK an income tax would not be charged in line with relevant tax treaties or domestic rules. So if the company’s activity is conducted overseas the provisions of UK’s law or double taxation treaties would not affect the income.

So if you think of starting a successful business with the UK through a company, which is registered in an off shore jurisdiction, make sure that:

  • UK’s law doesn’t consider your company as a permanent establishment
  • You don’t trade in the UK
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