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Audit Royal S.A. was set
up by Francis Hoogewerf, a UK chartered accountant, in 1988. Audit Royal S.A. practices as a "Réviseur d'Entreprises", "Expert
comptable", domiciliary agent and international tax advisor. |
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TaxEngineering.com have as their main objective to advise on the accumulation of tax free profits for Re-investment through the use of tax treaties. Ultimately tax will usually be payable, other than in countries that have no tax.
In any event our philosophy is: "It is better to pay a little tax rather than no tax." |
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The EU and the OECD, since
1996, have clearly made “ tax harmonisation” one of their
priority objectives. This means that “ tax fraud” is going
to be treated much more like “money laundering”. There
will be exchange of information between tax havens and high tax countries.
Bank secrecy in relation to “ tax fraud” will slowly disappear.
In any event professional advisors, banks and insurance companies
must know clearly who their clients are and the business they do.
The way forward is to use tax treaties. “ It is better to pay
a little tax rather than no tax” and transparency. |
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Audit Royal S.A. have always been cross
border tax specialists, working with colleagues, tax lawyers and accountants
all around the world.
Not only do Audit Royal S.A. advise on tax structures they will
also coordinate the constitution and administration of appropriate
tax advantageous entities and companies, virtually anywhere in the
world. |
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Luxembourg being a crossroads between
France, Germany and Belgium and having a very strong international
reputation in banking and investment, is an ideal location in Europe
to centralise cross border tax consultancy. Luxembourg’s strength
is also its language ability. Not only do most people speak French,
German, Luxemburgish and English there are also strong local communities
who speak Portuguese and Italian. Audit Royal S.A. has all these
languages plus Spanish and Russian. |
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Luxembourg is well known as a centre for
Holding companies. Conforming to the EU’s Parent/subsidiary
Directive Luxembourg’s “Soparfi” financial holding
company also benefits from Luxembourg’s impressive array of
double tax treaties. The main advantage of a luxembourg “Soparfi”
is where a participation is made (subject to certain rules) representing
more than 10% in another company for more than one year; the effect
can be no tax on dividends received or on capital gains.
In addition, for as long as it lasts, Luxembourg has its “1929
Holding company”, which is not subject to tax and does not normally
benefit from Luxembourg tax treaties. This company has the advantage
that it can very easily be transformed into a “Soparfi”.
Luxembourg is not the only country with tax advantageous holding companies.
Belgium, Germany, Spain, Hungary, Malta, Cyprus, Mauritius and the
UK are all countries, amongst others, that offer tax advantages.
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Offshore companies are generally tax free
companies based in offshore financial centers. From a tax point of
view these companies may often be “black listed” by certain
OECD countries. On the other hand, being tax-free they are also “
tax neutral” and can be very useful for purely commercial reasons.
They offer commercial secrecy although offshore companies must be
considered more and more transparent when it comes to “ tax
evasion”.
Hoogewerf & Co have a joint venture with “ OCRA Worldwide”
who are well known specialists in providing offshore companies.
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