Video Briefing

Offshore Citizen: Tax Increases You Will NOT Like in 2024

Jan 23, 2024Video BriefingWatch on YouTube

The 2024 tax reforms across several popular relocation jurisdictions have altered the attractiveness of many programs that were previously used for personal and corporate tax optimisation. Below is a concise overview of the most significant changes and their practical implications for individuals and businesses considering a move.

Portugal – NHR (Non‑Habitual Resident) Programme

  • The NHR regime still exists but its benefits have been substantially reduced.
  • New applicants find the tax incentives far less compelling; only those already enrolled are grandfathered and can continue the original 10‑year tax relief.
  • Implication: Portugal is now a lower‑priority option for tax‑efficient relocation unless you already hold NHR status.

Thailand – Remittance‑Based Tax System

  • Thailand’s previously permissive remittance‑based taxation has been tightened.
  • While still usable, the system now imposes stricter conditions on foreign‑source income and the amount that can be excluded.
  • Implication: The country remains viable for tax planning, but the reduced flexibility makes it less attractive than before.

United Arab Emirates – Introduction of Corporate Tax

  • A 9 % corporate tax was introduced for most businesses, including many free‑zone entities.
  • Initial expectations that free‑zone companies would be exempt proved incorrect; only a limited set of exceptions remain.
  • Personal income tax remains zero, preserving the UAE’s appeal for individuals.
  • Implication: Companies must factor the new corporate tax into cost calculations, while individuals can still benefit from the zero‑tax environment.

Cyprus – End of Non‑Resident Company Structures

  • The jurisdiction has removed the ability to easily establish non‑resident companies.
  • Forming a company now requires residency or a more complex structure, diminishing Cyprus’s former advantage for offshore corporate setups.
  • Implication: Cyprus is less suitable for those seeking a simple non‑resident corporate vehicle.

Romania – Revised Micro‑Business Regime

  • The tax threshold for the 1 % micro‑business rate was lowered from €1 million to €60 000.
  • Income above €60 000 is taxed at 3 %.
  • This change follows EU pressure tied to post‑COVID relief funds.
  • Implication: The regime remains low‑tax but is now less attractive for larger micro‑businesses.

Italy – Reduced Incentives for Newcomers

  • Italy’s “newcomers” tax incentive program has been scaled back, decreasing the benefits for recent foreign residents.
  • The program still exists but offers fewer tax breaks than previously advertised.
  • Implication: Italy remains an option, but the reduced incentives should be weighed against other jurisdictions.

Spain – Beckham Law Adjustments

  • The Beckham Law (special tax regime for foreign high‑earners) has become easier to qualify for.
  • Qualification criteria have been relaxed, though the regime is still more complex than Portugal’s former NHR.
  • Implication: Spain now presents a more accessible route for high‑income expatriates seeking to limit tax on foreign income.

Practical Takeaways

  • Re‑evaluate relocation plans: Jurisdictions that once offered strong tax advantages may no longer be optimal.
  • Consider grandfathering: Existing beneficiaries of programs like Portugal’s NHR can continue under the old rules, but new applicants cannot.
  • Corporate structures matter: The UAE’s corporate tax and Cyprus’s loss of non‑resident company options require careful structuring to avoid unexpected liabilities.
  • Thresholds are critical: Romania’s lowered micro‑business threshold means businesses must assess whether the 1 % rate still applies to their projected revenue.
  • Stay updated: Tax regimes can shift rapidly; ongoing monitoring is essential for anyone relying on these incentives for personal or corporate tax planning.