Special Services

 

Quot capita, tot sensus


 
E-Mail
 
 

布劳斯坦:有趣的事实。

荷兰中央银行的许可证书

International Tax Planning

An effective, well thought-out international tax planning strategy can legally minimise international tax liabilities. International tax planning is a complex field, especially when multiple jurisdictions are involved, and there are many fundamental issues to consider before establishing the optimum corporate structure. Without relevant professional advice unanticipated legal and tax problems will arise and unexpected tax liabilities may crystallise.

With our tax consultants, international tax planning is made easier thanks to our practical, logical and simple approach and our unique network of international tax planning experts. In providing cutting-edge international tax planning and consulting services, we aim to deliver creative, cost-effective solutions which further our clients' global business ambitions by minimising corporate and personal income tax liability.

Our tax lawyers are foremost specialists in their field. Tax planning is our main focus, particularly with the use of Dutch companies and, where applicable, Trusts to legally minimise taxation of business operations. We can combine new components with existing international tax plans as well as work out independent tailored personal and business tax solutions for companies seeking to compete in the international arena.

We understand the importance of ensuring our clients' unlimited access to and free use of the proceeds of their labour and we keep our structures as simple and easy to use as possible. However, we do not underestimate the importance of long-term planning and the implications of a constantly changing regulatory environment and remain continuously abreast with the daily changes in national and international tax laws.

Double Taxation Treaties

Clients seeking to take advantage of double tax treaty relief need to establish a company situated in a treaty jurisdiction. This is essential for the minimisation of withholding taxes on the payment of dividends and royalties. Treaty jurisdictions also portray a non-offshore image and thus provide cosmetic appeal.

It is therefore important to assess the taxation implications of the business that is to be conducted, and decide whether or not a treaty jurisdiction is required. Under normal circumstances, a treaty jurisdiction would not be required for the international movement of goods and most services.

办公室及联系方法

nederland荷兰

+31 880 200 200

greatbritain 英国

+44 203 514 0590

switzerland 瑞士

+41 22 518 1066

germany 德国

+49 211 6355 6763

Cyprus 塞浦路斯

+357 25 030 331

Monaco 摩纳哥

+377 97 778 273

israel 以色列

+972 3763 1014

china 中国

+852 5808 3160

hong kong 香港

+852 5808 3160

curacao 荷属安的列斯

+599 9461 0274

BVI 英屬維爾京群島

+44 203 514 0590

Malta 马耳他

+31 880 200 200

Gibraltar 直布罗陀

+44 203 514 0590

Ireland 爱尔兰

+44 203 514 0590

UAE 阿联酋

+31 880 200 200

Belize 阿联酋

+31 880 200 200

mail E-Mail

该Email地址已收到反垃圾邮件插件保护。要显示它您需要在浏览器中启用JavaScript。

skype Skype

blaustein.pro

question 發送請求

Send

发送请求