A.M.S. Trustees (Mauritius) Limited has recently been granted a Management Licence issued by the Mauritius Offshore Business Activities Authority (MOBAA). The following services are provided by our Mauritius office:
- Offshore Business Structures and Services using Mauritius.
- Company formation and administration, including provision of directors, shareholders, company secretary and registered office for both Mauritius International Companies and Mauritius Offshore Companies in order to take advantage of the extensive tax treat network.
Mauritius has a comprehensive tax treaty network, which continues to expand, with more than 20 countries including: Belgium, Botswana, China, France, Germany, India, Indonesia, Italy, Kuwait, Lesotho, Luxembourg, Madagascar, Malaysia, Mozambique, Namibia, Nepal, Oman, Pakistan, Russia, Singapore, South Africa, Sri Lanka, Swaziland, Sweden, Thailand, United Kingdom, and Zimbabwe.
Treaties awaiting signature: Bangladesh and Malawi.
Treaties being negotiated: Canada, Greece, Portugal, Tunisia, Uganda, Vietnam & Zambia.
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Treaties in force |
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Belgium, Botswana, China, France, Germany, India, Indonesia, Italy, Kuwait, Lesotho, Luxembourg, Madagascar, Malaysia, Mozambique, Namibia, Nepal, Oman, Pakistan, Russia, Singapore, South Africa, Sri Lanka, Swaziland, Sweden, Thailand, United Kingdom, and Zimbabwe. |
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Treaties awaiting ratification & negotiation |
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Treaties awaiting signature: Bangladesh and Malawi.
Treaties being negotiated: Canada, Greece, Portugal, Tunisia, Uganda, Vietnam & Zambia. |
Key treaties
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INDIA |
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Mauritius is the third largest inbound investor in India. Complete exemption from Indian capital gains tax. Attractive for funds and direct investment.
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CHINA |
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Reduction in Chinese dividend withholding tax to 5 % compared to 10 % under the US-China treaty. Reduction in Chinese interest withholding tax to 10%, making Mauritius attractive for debt issues and on-lending to Chinese companies. Complete exemption from Chinese capital gains tax.
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SOUTH AFRICA |
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Complete exemption from South African interest and royalty withholding tax, making Mauritius attractive for licensing companies. Important tax sparing provisions.
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SINGAPORE |
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Complete exemption from Singaporean interest and royalty withholding tax making Mauritius unique as a jurisdiction for debt financing and leasing into Singapore.
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INDONESIA |
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Reduction in Indonesian dividend withholding tax to 5%. Reduction in Indonesian interest withholding tax to 10% making Mauritius attractive for debt issues and on-lending to Indonesian companies. Complete exemption from Indonesian capital gains tax. |
For further information please contact us using the links below.
AMS Trustees (H.K.) Limited
Room 1210, 12/F., Wing On Centre
111 Connaught Road
Central,
Hong Kong
Tel: (852) 2147-2108
Fax: (852) 2147-2119
Contact is by e-mail
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