Services
Jurisdiction analysis (tax level, cost of corporate infrastructure, financial year, etc.);
Selection of the tax configuration in accordance with Russian controlled foreign companies (CFC) legislation (CFC / non-CFC);
Determination of the form of the investment structure (company, trust, family foundation, investment fund, segregated portfolio company, etc.);
Structuring of financing options (capital contribution, loan);
Ongoing support of the established structure in accordance with the requirements of Russian CFC legislation (preparation of notifications, IFRS reporting)
Solution
An investment structure was established that was optimal from the standpoint of taxation and organizational form. The structure was maintained in full compliance with all requirements of Russian CFC legislation, including the preparation of notifications and IFRS reporting