Offshore holding companies | Practical Law

Offshore holding companies | Practical Law

This overview summarises the tax issues for a UK-based multinational wishing to move its tax residence from the UK, and explains how this can be achieved in practice. It covers reasons for corporate emigration, migrating an existing company, introducing a new holding company, post-implementation reorganisations and dividend access arrangements.

Offshore holding companies

Practical Law UK Practice Note 1-381-8502 (Approx. 13 pages)

Offshore holding companies

by Practical Law Tax, based on material contributed by Ed Denny (Winston & Strawn) and Norton Rose Fulbright LLP
MaintainedUnited Kingdom
This overview summarises the tax issues for a UK-based multinational wishing to move its tax residence from the UK, and explains how this can be achieved in practice. It covers reasons for corporate emigration, migrating an existing company, introducing a new holding company, post-implementation reorganisations and dividend access arrangements.