Mr Gus said:
What do CFC rules have to do with this? Do you have a Maltese Holding company?
According to PWC: "All companies incorporated in Malta are considered to be both domiciled and resident in Malta. Other bodies of persons (including companies incorporated overseas) are considered to be resident in Malta when the control and management of their business are exercised in the country."
According to CFR: "It is worth noting that a company is considered to be resident for tax purposes in Malta when the management and control of the company is exercised in Malta."
Maybe link source of your claims as well? As far as I can see everything you described is not what is being claimed by CFR.
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