20-22 Wenlock Road, London, N1 7GU +44 20 3996 3950
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Advantages of incorporating a company in Liechtenstein

What are the advantages of incorporating a company in Liechtenstein

  • Full EFTA membership since 2004
  • Only one founder – natural or legal person – is required
  • Paid up share capital of 50,000 CHF, requirement of fully paid share capital
  • Capital either in CHF, EUR or USD
  • After registration of the Company, the fully paid-up capital is free for use
  • Tax legislation is EU compliant
  • Compared to other European countries low tax burden, comparable to Ireland and Cyprus
  • 12.5 % corporation tax for companies with minimum tax of 1,800 CHF set off with profit taxes due
  • PVS as a Private but transparent Investmentvehicle available – flat tax 1,800 CHF p.a. – deemed not resident in Liechtenstein
  • No restrictions for citizens of EU member states
  • Ideal also for holding structures and foundations of any kind (Asset Protection, Company Succession and Charity)
  • Alternative to Switzerland
  • Business bank accounts from a variety of providers, including debit and credit cards and online banking

Why should I register and manage a limited company in Liechtenstein through FIRSTADVISOR?

Working with us means, that we will take care of the entire application process including any necessary compliance, until the company is registered and received its tax number. Furthermore, we support clients in regards to banking applications. We know how to approach banks and can handle hurdles, thus having a high success rate. This is important as a company without a bank account doesn’t bring any benefits.

Our experienced and highly qualified tax advisors and lawyers will review your company structure, existing management or mandate contracts. We also offer review of your contractual arrangements at home and abroad. In addition, our tax and accounting department will be pleased to take care of your bookkeeping and tax returns.

Remember – we offer company formations in Liechtenstein at a fixed price of 4.900,00 € net all-in. Enjoy our fast, reliable and competent approach in your native language (German, English, French, Czech, Slovak, Greek, Russian).

Ideal Tax Framework for Holding Companies and Foundations

Before implementng the new tax regime in 2011, Liechtenstein was troubled by EU legislation and international tax laws, and OECD standards. Thus, Liechtenstein introduced a modern tax framework. The new Liechtenstein tax legislation today fulfills all relevant EFTA/EU standards, EU regulations, the OECD- standards, the FATF and the FSF.

Liechtenstein companies are recognized throughout the European Union as EFTA companies with an extensive Tax Treaty Network. This circumstance is used particularly by holding companies. Liechtenstein nowadays has one of the most favourable Tax Regimes in Central-Europe and competes within the EU with Switzerland, Irland, Malta and Cyprus but at higher cost.

Why not speaking to us to about the advantages of a holding structure or a foundation for multiple purposes (Asset Protection, Succession of a Company or charitable Purposes). You may check out the website of our boutique law firm for further details – TAXEDO LLP.

What you need to consider if relocating to Liechtenstein

The free movement of EU citizens does not apply to Liechtenstein and it’s extremly difficult to obtain a residency there. However, Liechtenstein organizes each year a tombola, whereas 36 visa application in total will be granted. This takes place each year in Spring and Autumn.

A long-term stay in a country for more than 183 days will usually (and automatically lead)  to an unlimited tax liability for your world income. Some countries go even further and already assign this tax liability if you can permanently use your own apartment (this can even be the room in your parents’ house or a regularly visited hotel) which you can access with your own keys – knows as “Schlüsselgewalt” in German speaking countries. This rule establishes or maintains an unlimited Tax liability for your world income. If this subject is of interest, you may find out more on our dedicated website for Taxation.

The often cited and in general used “183-Days-Rule” is not entirely correct. It can be only used to a limited extend as few countries (Germany) deem a personal tax liability if one spends in total more than 183 days within the country in two consecutive years, spanning two tax periods.

One can therefore only advise that people interested in relocating their place of residence not to rely on start-up agencies and other jokers – the pitfalls are simply too great and sound advice is required. A few advisors (specialized lawyers, accountants) study tax law for years, others do a weekend seminar or attend the Google University – where do you feel better off?

It’s amazing what’s on offer on the internet. Believe us – there is no point in having no tax residency/residence anywhere. If in doubt, you never gave up your original tax liability (in your country of birth) or you are automatically subject to tax through your passport. 

If you have plans for company formations in Liechtenstein, it make sense to speak about your relocation in detail. 

Further information about Liechtenstein

The free movement of EU citizens does not apply to Liechtenstein and it’s extremly difficult to obtain a residency there. However, Liechtenstein organizes each year a tombola, whereas a total of 36 visa application will be granted. This raffle takes place each year in Spring and Autumn.

A long-term stay in a country for more than 183 days will usually (and automatically lead)  to an unlimited tax liability for your world income. Some countries go even further and already assign this tax liability if you can permanently use your own apartment (this can even be the room in your parents’ house or a regularly visited hotel) which you can access with your own keys – knows as “Schlüsselgewalt” in German speaking countries. This rule establishes or maintains an unlimited Tax liability for your world income. If this subject is of interest, you may find out more on our dedicated website for Taxation.

The often cited and in general used “183-Days-Rule” is not entirely correct. It can be only used to a limited extend as few countries (Germany) deem a personal tax liability if one spends in total more than 183 days within the country in two consecutive years, spanning two tax periods.

One can therefore only advise that people interested in relocating their place of residence not to rely on start-up agencies and other jokers – the pitfalls are simply too great and sound advice is required. A few advisors (specialized lawyers, accountants) study tax law for years, others do a weekend seminar or attend the Google University – where do you feel better off?

It’s amazing what’s on offer on the internet. Believe us – there is no point in having no tax residency/residence anywhere. If in doubt, you never gave up your original tax liability (in your country of birth) or you are automatically subject to tax through your passport. 

If you have plans for company formations in Liechtenstein, it make sense to speak about your relocation in detail. 

To receive a detailed offer or placing an order, please fill out the form down below for Company Formations and we will get back to you shortly!

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