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International tax planning

Broaden your business’s horizons and optimize your tax burden with our experts’ support

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The UAE is a unique setting for international tax planning, allowing you to create legal tax plans to optimize your company’s tax burden. SORP Group is an expert in setting up international holding companies. With our support, create a reliable and effective plan for working in the global arena.

What is international tax planning?

A legal way to minimize your tax burden
Create the means to withdraw profits in low-tax jurisdictions
Establish an international business ownership structure
Set up the right mechanism for capital flow within the group of companies and managed entities



The basics of running a business in a modern reality

As one of the most politically and financially stable countries in the world, the UAE offers a multitude of opportunities
Circulation of funds Free circulation of funds: capital inflow and outflow
International agreements Take advantage of agreements on mutual protection of investments and double taxation avoidance
Confidentiality Protect investors’ personal data and anonymity
Reliable allocation of funds Banking services and state guarantees of the safety of your funds
Tax privileges The right to conduct activities and withdraw dividends, tax-free
Resident status Streamlined ability to become an investor and resident
Tax residency Both investors and companies may file for tax residency
Simplified calculations Banks remain loyal to using agency settlements and loan agreements
Do you need to find the optimal place to register your importing company?
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Our solutions

In order for business structures to be entirely legal as well as effective, it is important that they be prepared by professionals

ОContact SORP Group for assistance with the following tasks:
Business restructuring due to changes in tax legislation
Creating an effective export sales model
Purchasing foreign assets
Consolidating company group statements, moving profits/losses within the group
Reducing tax losses and optimizing your company group management structure
Establishing structures to attract external financing
Reducing the number of foreign companies used and the cost of maintaining them
Creating a joint venture with foreign partners

Our company uses the tools necessary to solve any issue related to tax planning, no matter how complicated, lowering tax risk associated with de-offshorization laws, designing an effective business model for international activities, and purchasing foreign assets.



What must be taken into consideration?
1
Residence status Company shareholders’ and directors’ residence status
2
Agreement Dual taxation avoidance agreements between the UAE and other holding jurisdictions
3
Legislative features Legislative features of the UAE, countries where shareholders reside, and locations where the holding company has been registered
5
Regulation in force The presence of rules on controlled foreign companies in countries where shareholders reside
4
Possible tax liabilities Possible tax liabilities in the countries where beneficiaries reside
Take advantage of free legal advice and learn how to optimize taxes legally.
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How our company works

Select your area of interest
  • Company group restructuring
  • Creating an optimal holding based on a UAE company
1
Preliminary analysis When reorganizing a company group, it is important to examine every detail of the law in the relevant jurisdictions- the conditions of any double taxation avoidance agreements, the presence of any agreements on the mutual protection of investments, and other features of the country where beneficiaries pay taxes.
2
Create a new operational model Consider options for modifying the current structure, liquidating ineffective foreign companies to lower administrative costs incurred maintaining the company group, designing the optimal financial structure for subsidiaries. Organize the movement of capital within the integrated management group. Inserting a UAE company within an existing structure, confirming the company’s management and control center in the UAE.
3
Protecting end beneficiaries Study beneficiaries’ current taxpayer status, whether or not their countries of residence have laws on controlled foreign companies, changes to tax residence, share of company ownership based on the analysis, series of measures to confirm a center of vital interest in the UAE.
1
Preliminary analysis When reorganizing a company group, it is important to examine every detail of the law in the relevant jurisdictions- the conditions of any double taxation avoidance agreements, the presence of any agreements on the mutual protection of investments, and other features of the country where beneficiaries pay taxes.
2
Create a new operational model Consider options for modifying the current structure, liquidating ineffective foreign companies to lower administrative costs incurred maintaining the company group, designing the optimal financial structure for subsidiaries. Organize the movement of capital within the integrated management group. Inserting a UAE company within an existing structure, confirming the company’s management and control center in the UAE.
3
Protecting end beneficiaries Study beneficiaries’ current taxpayer status, whether or not their countries of residence have laws on controlled foreign companies, changes to tax residence, share of company ownership based on the analysis, series of measures to confirm a center of vital interest in the UAE.

Apply for case study

Upon submission of your application to the SORP Group, you will receive a free expert consultation within 20 minutes.

Our team of experts will offer reliable tools to resolve concerns around international tax planning. The first step in optimizing your international business begins with your call or email today!