Dividends will always first be taxed in Estonia, then potentially a second time somewhere else. The way they do that is that it’s officially not a tax on dividends, but a deferred corporate income tax. Estonia is not a tax haven.
Dividends will always first be taxed in Estonia, then potentially a second time somewhere else. The way they do that is that it’s officially not a tax on dividends, but a deferred corporate income tax. Estonia is not a tax haven.
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yes, I understand, so they will be taxed in Malta only in the case above 35k, The Remittance Basis
quite right?
is that really required. If you have to spend 50K you will need to have a big business there otherwise it looks like not making much sense.Rent an office and hire a few locals in Estonia (approx 50K a year) to make the company "sufficiently" managed and controlled from Estonia. Then it will work.
do you intend to also take personal residence in Estonia and remove the Maltese one?Just have company and residency in Estonia and live in Malta without visa. If you are EU citizen of course.
This is an excellent solution until you find out that Malta and Estonia have a bilateral DTA agreement where they specify slightly different conditions.
Ask the Maltese tax office about it for a definitive answer, but unless the EE company is controlled and managed from Estonia, the agreement allows Malta to tax the Estonian company as if it were their own.
Rent an office and hire a few locals in Estonia (approx 50K a year) to make the company "sufficiently" managed and controlled from Estonia. Then it will work.