Exit tax and residence
Shareholdings, tax residence, return scenarios, deferral options, migration timing and documentation are reviewed before steps are taken.
International
International structures need a coherent position on residence, place of management, substance, treaty access, CFC, exit tax and banking/KYC.
Shareholdings, tax residence, return scenarios, deferral options, migration timing and documentation are reviewed before steps are taken.
Licence, UAE corporate tax, substance, place of management, bank account, UBO, accounting and international tax connections are reviewed together.
Control, income classification, low taxation, substance evidence and reporting obligations must be understood before a foreign entity is used.
Actual decision-making, personnel, premises, contracts, representatives and management documentation are central to the structure.
Functions, risks, intercompany services, documentation, group context and minimum-tax questions need a consistent operating model.