International Tax Planning
International tax planning and structuring designs cross-border holding, operating, and investment structures that optimise tax outcomes while maintaining full compliance with domestic and international tax obligations. The landscape has been fundamentally reshaped by the OECD’s Base Erosion and Profit Shifting (BEPS) initiative: Pillar One (reallocation of taxing rights to market jurisdictions), Pillar Two (15% global minimum tax on multinational enterprises), and the substance requirements that make tax planning without genuine economic activity ineffective and potentially unlawful.
Tax Advisory
Kaelo advises on: holding company domicile selection (comparing DIFC, ADGM, DMCC, mainland UAE, Singapore, Luxembourg, Netherlands, Seychelles based on treaty access, regulatory requirements, substance obligations, and total tax cost), treaty network optimisation (utilising bilateral tax treaties to minimise withholding tax on dividends, interest, and royalties), permanent establishment risk management (avoiding unintended tax presence in jurisdictions where the entity has no intention of filing returns), transfer pricing compliance (ensuring intercompany transactions are priced at arm’s length), and the compliance obligations (Country-by-Country Reporting, GloBE Information Returns, DAC6/MDR reporting) that international structures now require. Our tax practice covers the Gulf, Singapore, and Seychelles tax frameworks with depth that generalist advisory cannot provide.
UAE Corporate Tax
The UAE’s introduction of federal corporate income tax (9% on taxable income exceeding AED 375,000, effective June 2023) transformed the country’s tax landscape after decades of zero corporate taxation. Free zone entities meeting qualifying conditions may benefit from 0% tax on qualifying income — but the interaction between free zone benefits, Pillar Two GloBE rules, and the transfer pricing regulations that the UAE has simultaneously introduced creates significant structuring complexity. Our advisory navigates this new landscape for every entity operating through UAE structures.
International tax planning in the post-BEPS world is no longer about finding the lowest rate — it is about designing structures with genuine substance, economic rationale, and the compliance infrastructure that transparent tax systems demand.