In Singapore it is possible to consider both the re-domiciliation of foreign entities to Singapore as well as the change of tax residence of a foreign entity to Singapore.
Moving the tax residency from one jurisdiction to another is also an option, but needs to take into account the changes being implemented as a result of the OECD BEPs project. Consideration will need to be given to any relevant Double-Taxation Agreements.
As an example see below a table reviewing the options for a BVI company that may be considering operating economically from Singapore:
Options | Comments | Costs to consider | |||||||||||
1- BVI company to become Singapore tax resident | Possible, BVI company can apply for a resident status in Singapore. The company needs to be managed and controlled from Singapore, which supposes non-nominee resident directors and board meetings in Singapore + substance in Singapore (staff, office, fixed assets, etc.,). The substance requirements for foreign-owned holding companies (receiving passing income) is more stringent. |
Cost of Director in Singapore plus accounting/tax filings cost Cost of administration of the company in Singapore; Cost of administration of the company in BVI; Annual costs will include : - Resident director : - Board meetings : - Staff salary : - Social contribution : - Office : - Server |
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2- Re-domiciliation of BVI company to Singapore | Singapore allows inwards re-domiciliation but the criteria are high (more than 7.5mUSD revenue and at least 50 employees) | Case by case | |||||||||||
3- Establishment of a new Singapore company and transfer of assets under new Singapore company | Under this option, new Singapore company can be established, and the assets that currently belong to BVI company can be transferred under the new company. | Relevant costs regarding incorporation and maintenance of a Singapore registered company. |
For more background information on the global move towards requirements for businesses to have Economic Substance where they are based please read our new article here.