What I would do personally is following :
Malta company → Branch in Bulgaria (operating ),
or
Malta holding → owns a significant stake in your Bulgarian LTD.
In both cases, you would qualify for a 100% tax exemption on income arising from the branch or the LTD.
Then you can use the holding to invest .
Use the Malta’s participation exemption ( also applies on Branch profits ):
Malta company → Branch in Bulgaria (operating ),
or
Malta holding → owns a significant stake in your Bulgarian LTD.
In both cases, you would qualify for a 100% tax exemption on income arising from the branch or the LTD.
Then you can use the holding to invest .
Use the Malta’s participation exemption ( also applies on Branch profits ):
You can’t avoid taxation in Bulgaria because the real economic activity is carried out there.The participation exemption may also be applied to any gains or income derived by a company registered in Malta that attributable to a permanent establishment, including a branch situated outside of Malta or to the transfer of such permanent establishment, whether such permanent establishment belongs exclusively or in part to the company registered in Malta.
Last edited: