Multinational companies may decide to establish a holding company for a range of reasons. For example, a holding company may be an efficient way to manage a group of subsidiaries in a particular region by centralizing financing, licensing and management activities.

A holding company also may provide tax efficiencies in relation to withholding taxes Jurrisdiction dividends and taxes on capital gains. Choosing the appropriate location for a holding company is a complex procedure—involving consideration of business, economic, logistical and operational requirements. The tax attributes of the location are also a relevant factor. How will income and gains of the holding company be taxed and what is the effective tax rate?

Are there any substance requirements? Will payments by the holding company be subject to withholding tax? Does the location have an New Sweden Mutual Insurance Company tax treaty network? These questions are Holding Company Jurisdiction Comparison in the holding company matrices, which summarize in an annotated table key attributes of the regimes in Asia Pacific, Europe and Latin America.

The holding company information also can be found in a matrix format in the Deloitte International Tax Source DITSwhich allows users to review the features in a table format Jurisidction to compare the key tax attributes of potential Holding Company Jurisdiction Comparison company locations across Asia Pacific, Europe and Latin America.

Asia Pacific Matrix. Europe and South Africa Matrix. Please enable Javascript to view the site. Holding company matrices. Explore Content Related topics. Did you find this useful? Yes No.

Offshore Company Jurisdictions Comparison and Information

Offshore Company Jurisdiction Comparison Chart / List. Here is a comparison chart common offshore company jurisdictions. There is an article for each type of company detailing its benefits and requirements. Please click on one of the following links to learn more about each offshore company jurisdiction. ... Denmark Holding Company ...…

Holding Regimes 2019 Loyens & Loeff

We are pleased to present you the 2019 edition of the Loyens & Loeff publication Holding Regimes. It provides a comprehensive overview of the most relevant tax aspects of holding regimes in 12 jurisdictions (Belgium, Cyprus, Hong Kong, Ireland, Luxembourg, Malta, Mauritius, the Netherlands, Singapore, Spain, Switzerland and the United Kingdom).…

What are the best offshore jurisdictions? - Flag Theory

Sep 25, 2019 · Malta is a reputable jurisdiction and its private company limited by shares is an excellent vehicle, whether for conducting international trade, holding immovable assets and intellectual property, conducting an e-gaming business, or as a holding group company, a ship-owning company, an investment vehicle or a captive insurance company.…

Comparisons of jurisdictions & business types to register ...

List of comparisons of jurisdictions, business entities, tax-havens and free-zones worldwide. ... “Pirster Pte is happy with the work that Healy Consultants undertook for the company. International incorporation can be fraught with opacity, anxiety and vulnerability - especially if it is being done remotely as we did. ... Comparison of ...…

Four offshore company jurisdictions to avoid in 2020 ...

Jul 01, 2015 · Four offshore company jurisdictions to avoid in 2020 ... The best offshore jurisdiction today may not be the best tomorrow. That’s precisely what the “nomad” in “Nomad Capitalist” is about: realizing that you must constantly adapt if you want to survive and prosper. ... for a holding company/ trust for my family property..…

Holding company jurisdictions - International - Tax ...

Key attributes of holding company jurisdiction—checklist. This Checklist provides a template to use when evaluating the key attributes of potential holding company jurisdictions. This Checklist was produced in partnership with Ben Jones and Colin Askew of Eversheds Sutherland (International) LLP. Maintained. Legislation (13) View all…

The tax advantages of Malta holding companies

In the example on the left, where the trading company is situated in the EU, the Malta company would benefit from the EU Parent/Subsidiary Directive, resulting in no withholding tax on the payment of dividends to the Malta company. Where the holding is a “participating holding” there will be no taxation on dividends and capital gains at the ...…