legal
, business-structure
, buisness-model
I would like to create an offshore structure with Private Interest Foundation and underlying business corporation.
There are two main offshore jurisdictions for foundations: Panama and Seychelles.
But what are the benefits of using one or another?
I know that in Seychelles it is stated in the Foundation Act itself that a foundation has no owners and that the foundation itself is the beneficial owner of the foundation assets.
Is this a big advantage for Seychelles foundations?
Are there any other advantages of one or another jurisdiction?
Insofar as I’m aware it’s basically the same in both jurisdictions:
So on paper they enable the same thing from a tax avoidance standpoint.
In practice you want to open a business in neither, or in any other tax haven for that matter:
Tax havens are convenient for large businesses (and indeed, super rich individuals) who can field armies of lawyers. You cannot.
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