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Shift of shareholding via Maltese HOLDING Company
The benefits of reduced taxation
and confidentiality may also be achieved by opting for a transfer
of shareholding rather than management/operation. In such a case
shares in the Client company would be transferred to Maltese nominees
acting on behalf of a Maltese Holding company or trust purposely
set up to acquire and administer shares in the Client company, and
receive income therefrom in the form of royalties, dividends, or
loan repayments according to the objectives/priorities local tax
obligations of the client. |
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