{"id":45356,"date":"2024-11-06T09:12:59","date_gmt":"2024-11-06T09:12:59","guid":{"rendered":"https:\/\/my.legal500.com\/developments\/?post_type=legal_developments&#038;p=45356"},"modified":"2024-11-06T09:13:07","modified_gmt":"2024-11-06T09:13:07","slug":"the-end-of-an-era-uk-non-doms-should-consider-moving-to-cyprus","status":"publish","type":"legal_developments","link":"https:\/\/my.legal500.com\/developments\/thought-leadership\/the-end-of-an-era-uk-non-doms-should-consider-moving-to-cyprus\/","title":{"rendered":"The end of an era? UK non doms should consider moving to Cyprus"},"content":{"rendered":"<p><strong>With the unveiling of the UK budget on 30<sup>th<\/sup> October came the confirmation that the current tax treatment for UK resident non-domiciled individuals (non-doms) will be abolished from 6 April 2025.<\/strong><!--more--><\/p>\n<p><strong>Where do we go now ?<\/strong><\/p>\n<p>Cyprus is an increasingly popular choice for relocation due to its tax friendly incentives for high net worth \u00a0individuals, high quality of life, education system, national healthcare system and EU member status. As an ex British colony and a Commonwealth state, Cyprus is the jurisdiction within the European Union most like the UK in terms of the judicial system, reporting and assurance standards and companies\u2019 legislation. Furthermore, Cyprus boasts one of the lowest corporation tax rates in Europe standing at 12.5%, compared to the UK corporation tax rate which currently is 20% and offers a variety of tax incentive schemes enabling individuals and companies to achieve an overall lower effective tax burden; there is a huge availability of a highly skilled and highly educated labour force employable at low wages and fluent in English; and the cost of living and doing business is relatively low when compared with other EU jurisdictions which have an appeal such as Ireland, Italy and Switzerland.<\/p>\n<p><strong><u>Achieving Cyprus Tax Residence<\/u><\/strong><\/p>\n<p>There are two ways for obtaining \u00a0tax residence in Cyprus, both requiring physical presence on the island:<\/p>\n<ul>\n<li><strong><u>The 183 days rule<\/u><\/strong>: This rule requires an individual to reside in Cyprus for at least 183 days to be considered as a tax resident in Cyprus<\/li>\n<li><strong><u>The 60-day rule<\/u><\/strong>: This applies to individuals who in the relevant tax year meet all the following criteria:<\/li>\n<li>remain in Cyprus for at least 60 days during the tax year in question;<\/li>\n<li>do not reside in any other country for one or more periods exceeding in aggregate onehundred and eighty three (183) days within the same tax year;<\/li>\n<li>is not tax resident in any other country for the same tax year;<\/li>\n<li>carry out business activities in Cyprus and\/or work in Cyprus and\/or is a director in acompany that is tax resident in Cyprus at any time of the tax year in question; and<\/li>\n<li>maintains a permanent residence in Cyprus (either owned or rented).<\/li>\n<\/ul>\n<p><strong><u>Non-Domicile Tax Residency Regime <\/u><\/strong><\/p>\n<p>Cyprus\u2019 non-dom regime offers a great opportunity for those moving from the UK as the current statute exempts individuals who are deemed non-domiciled in Cyprus from paying ANY taxes on their dividends, rental and interest income for a maximum of 17 years.<\/p>\n<p>For an individual to qualify as a non-domiciled tax resident in Cyprus, they must not be tax resident in Cyprus for at least 17 out of the 20 years immediately prior to the tax year of assessment.<\/p>\n<p><strong><u>Tax incentives for salaried executives <\/u><\/strong><\/p>\n<p>Furthermore, the Cyprus government has introduced an array of tax incentives as stated below aimed at attracting high salaried executives to migrate. Individuals who become Cyprus tax residents, whether under the \u201c60 day rule\u201d or under the \u201c183 day rule\u201d\u00a0 will be eligible for these incentives:<\/p>\n<ul>\n<li>As of 01\/01\/2022 in Cyprus, there is a 50% income tax exemption on the individuals\u2019 remuneration who are not tax residents in Cyprus for a period of at least 15 consecutive years immediately prior to their employment in Cyprus as long as this annual remuneration exceeds the Euro 55,000 per annum. For each individual the exemption will apply once in their lifetime for a period of 17 years. Subject to certain conditions, individuals whose employment commenced prior to 1 January 2022, may also be eligible to claim the exemption.<\/li>\n<li>In addition, there is an exemption of 20% of the remuneration with a maximum amount of \u20ac8.550 annually. This applies for remuneration for first employments exercised in Cyprus commencing after 26 July 2022, by individuals who immediately prior to the commencement of their employment in Cyprus were not a tax resident of Cyprus for a period of at least 3 consecutive tax years and were employed outside of Cyprus by a non-resident employer. For each individual the exemption will apply for a period of 7 years, starting from the tax year following the tax year of commencement of employment. Individuals granted the above 50% exemption will not be eligible for this exemption.<\/li>\n<\/ul>\n<p><strong><u>How can my family and I stay there?<\/u><\/strong><\/p>\n<p>For a third country national\/UK citizen to have the right to live and\/ or work in Cyprus, there are various options available to them to relocate with their family\/dependants to Cyprus. Two of the most popular routes are:<\/p>\n<p><strong><u>Residency by Investment<\/u><\/strong><\/p>\n<p>One way for obtaining residency in Cyprus is through the investor\u2019s migration permit. This offers a fast-track permanent residency in Cyprus for non-EU third country nationals and their family members through an investment of at least Euro 300,000 plus VAT in four investment paths: a brand-new residential property in Cyprus and\/ or commercial property or investments into Cypriot regulated investment funds or Cypriot companies. The applicants must also prove a secure income of at least Euro 50,000 from abroad which increases marginally for the dependent spouse and children. The investor\u2019s migration permit gives an applicant and their family a right to permanent residence in Cyprus for life with the right to apply for citizenship.<\/p>\n<p><strong><u>Residency by Employment<\/u><\/strong><\/p>\n<p>Cyprus is committed to enhancing the island\u2019s position as an international high-growth business centre by attracting international investments and talent and has a scheme by which companies can register as \u201cCompanies of Foreign Interest\u201d. Such companies have the right to employ third country nationals of specific professions and qualifications. A company can qualify as a \u201cCompanies of Foreign Interest\u201d if it operates in various sectors such as shipping, IT, pharmaceuticals or if the issued share capital of such a foreign company is owned at least by 50% plus 1 share by a third country national which is of particular interest to UK businesses wishing to relocate to Cyprus. Employees shall have the ability to enter and reside in Cyprus while bringing their family members as dependents. There are two categories: one for highly paid staff receiving \u00a0a minimum gross monthly salary of \u20ac2.500 and another category for support staff.<\/p>\n<p>Due to a recent amendment in Cyprus\u2019 naturalisation legislation, this employment and residence visa also gives employees as well as their family members \u00a0the right to apply \u00a0for naturalization after legal residence for cumulative periods of no less than 4 years or 3 years, depending on the level of knowledge of the Greek language.<\/p>\n<p><strong><u>Next Steps<\/u><\/strong><\/p>\n<p>MPC Legal can advise all impacted individuals on the most suitable solution for them, their family and\/ or their business to relocate to Cyprus and take advantage of Cyprus\u2019 \u00a0favourable tax framework.<\/p>\n<hr \/>\n<p>&nbsp;<\/p>\n","protected":false},"featured_media":0,"template":"","class_list":["post-45356","legal_developments","type-legal_developments","status-publish","hentry"],"acf":[],"_links":{"self":[{"href":"https:\/\/my.legal500.com\/developments\/wp-json\/wp\/v2\/legal_developments\/45356","targetHints":{"allow":["GET"]}}],"collection":[{"href":"https:\/\/my.legal500.com\/developments\/wp-json\/wp\/v2\/legal_developments"}],"about":[{"href":"https:\/\/my.legal500.com\/developments\/wp-json\/wp\/v2\/types\/legal_developments"}],"wp:attachment":[{"href":"https:\/\/my.legal500.com\/developments\/wp-json\/wp\/v2\/media?parent=45356"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}