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Cryprus non dom status

Cryptocurrencies trading
If ultimately intend to move in Cyprus and enjoy the non dom status then appropriate prior structuring can allow you to enter the country and enjoy 0% taxation even if the country eventually taxes crypto trading under any of its applicable taxes. This can be achieved by receiving the income as a dividend instead of trading income
 
Nothing official yet. But on what basis would you consider it to be treated as security?
I would reasonably think such income to be considered as capital gains rather than trading income, unless the person under assessment is daily or almost daily carrying out transactions which is not usually the case. If we then accept such income to be treated as capital gains, then I cannot see how the tax office would deviate from its long standing position that the only tax imposed on capital gains applies to those arising out of the disposal of immovable ( real ) property. So my conclusion is based solely on the basis of the formulation of the character of the Cyprus tax system through the years. I could of course be wrong as my reasoning has more of an assumptive basis rather than anything concrete.
 
I would reasonably think such income to be considered as capital gains rather than trading income, unless the person under assessment is daily or almost daily carrying out transactions which is not usually the case. If we then accept such income to be treated as capital gains, then I cannot see how the tax office would deviate from its long standing position that the only tax imposed on capital gains applies to those arising out of the disposal of immovable ( real ) property. So my conclusion is based solely on the basis of the formulation of the character of the Cyprus tax system through the years. I could of course be wrong as my reasoning has more of an assumptive basis rather than anything concrete.

You can fill a form asking them whether they will consider your gains, capital gains or trading nature.

 
I would reasonably think such income to be considered as capital gains rather than trading income, unless the person under assessment is daily or almost daily carrying out transactions which is not usually the case. If we then accept such income to be treated as capital gains, then I cannot see how the tax office would deviate from its long standing position that the only tax imposed on capital gains applies to those arising out of the disposal of immovable ( real ) property. So my conclusion is based solely on the basis of the formulation of the character of the Cyprus tax system through the years. I could of course be wrong as my reasoning has more of an assumptive basis rather than anything concrete.
This will not be tha case (unless something changes dramatically). The official circular should be issued (hopefully) in the next couple of months.
 

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