Moving to Cyprus – Is the HK offshore structure still viable? What are the real risks?

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jiejq

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Jun 29, 2025
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Hi everyone,
I'm thinking about moving to Cyprus because I want to live in a sunny place by the beach. I run a 7-figure online business and I'm trying to understand the best way to structure things for taxes while living there.

I’ve heard that some people use a Hong Kong company with a nominee director, claim it as offshore, and pay 0% on dividends (just the 2.65% GHS contribution up to €180k). Is this still a viable and safe option?

Do the Cypriot tax authorities actually enforce the management and control test? Or do they generally not investigate where the company is really controlled from?

Would it be better to just set up a Cyprus company and pay the 12.5% corporate tax? Or maybe do both , have a clean Cyprus company and send part of the billing through an offshore one?

Also, if Cyprus considers that the offshore company is actually tax resident in Cyprus because I live there and manage it from there , what exactly are the fines and criminal consequences, if any? I know I'd have to pay back taxes, but I’d like to understand what kind of penalties I could face (percentages, amounts, or legal risks).

If anyone here is in a similar situation or knows more about this, I’d love to hear your thoughts. Thanks!
 
Personally, I would⁠ prefer to set up a local company in Cyprus and just pay the required tax,⁤ simply to have peace of mind and something to show, if needed. You never know⁣ when you might want to finance a house, a car, or move to another country⁢ where you’ll need to document your income from the past couple of years.

That way,︀ you can still have a Hong Kong company or any other structure alongside it, giving︁ you a bit more flexibility in how you route income through the Cyprus entity.
 
Seems to be, but no one can guarantee it'll stay like that.

They generally do not,⁣ especially if you're a foreigner that don't cause any problems.

Up to you.

I'm unsure if it's ever been attempted... However, based on what happens in other jurisdictions with︆ similar laws (and which actually enforce such laws), the fines would depend on the exact︇ circumstances. There's a difference between a simple mistake to actively taking steps to avoid paying︈ taxes. In Cyprus, my guess is you'd be getting hit with the taxes owed plus︉ late tax payment fines. The fines are modest.
 
Hello
The various options you are describing are generally doable however carry with︇ them elements of tax risk uncertainty. A more sound approach would have been to look︈ at each and every part of the operation and seek to create a well defined︉ operational structure which adheres to transfer pricing principles. This would mean that you could still︊ end up with a HK company as your primary operating company but ensure that where︋ certain operstional parts are handled from elsewhere, for example Cyprus, that the Cypriot tax authorities︌ get their fair share of taxes. This way you do not carry the risk of︍ uncertaintly where any tax authority would wake up one day , change its tax policies︎ and start enforcing taxing rights. The fact that you already have the set up in️ place is good as you generally satisfy motive tests and potential claims of an artificial‌ set up . At first sight it appears that we are able to advice on‍ a sucessful transition. Kindly let me know if you would like to discuss it further.⁠
 
So in other words, the Cyprus company acts⁠ as a kind of holding company for an HK entity operating outside of Cyprus, and⁤ therefore isn't taxed in Cyprus?
 
There are many ways you can do this but I would not take the above‌ approach too many uncertainties there are better ways especially for someone making 7 figures
 
Not happy to talk about them on public forum dm me and i would be happy‌ to share
 


I’m currently based in the UAE and have been weighing up whether it makes sense‌ to shift part of my structure to the EU Cyprus being a strong contender.
I’ve used HK companies in the past, mainly for invoicing and holding digital assets, but over‍ the last few years, the administrative friction has definitely increased.

Banking has become the main⁠ challenge. Even with clean operations, it’s getting harder to maintain accounts linked to Hong Kong⁤ entities unless you have a strong physical presence or a local director.
That’s one of⁣ the reasons Cyprus started looking more attractive: EU compliance, easier banking, and still relatively tax⁢ efficient if you structure things right.

That said, moving to Cyprus means you need to︀ think about personal tax residency and how it ties into your structure especially if you’re︁ planning to spend a significant amount of time there. I’ve spoken to a couple of︂ advisors who mentioned the 60-day rule and non-dom status, which might be useful depending on︃ your situation.

Would be great to hear from someone who’s actually made the switch from︄ HK to Cyprus recently, how did it go in practice?
 
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