刊物

Publications
 28 8月 2020 Chetcuti Cauchi
Maltese law allows for the efficient routing of royalties through Maltese Intellectual Property Holding Companies (IP Holding Companies). A Malta IP Holding Company is generally formed with the objective of channelling royalties and other income from intellectual property in a tax-efficient manner. The tax treatment of royalty income depends on its classification as active or passive income.
 28 8月 2020 Maria Chetcuti Cauchi
This article provides an introduction to the topic of Bitcoin from a legal, regulatory and practical perspective, and offers some thoughts on the treatment of Bitcoin companies in Malta.
 28 8月 2020 Dr Michela Pirotta
This Article discusses the role of the Malta Company Secretary.
As the Malta Individual Investor Programme comes closer to the quota of 1,800 approved applications, more and more of our foreign partners inquire about the future of the Malta citizenship programme. The lawyers in Chetcuti Cauchi;s Investor Migration team have been reconsidering The Case for a Malta Investment Programme.
At Chetcuti Cauchi we do not believe the global marketplace will ever be the same, even at the end of the COVID-19 curve. This surreal social distancing experience forces us to reconsider our priorities, our needs and our concept of risk and preparedness. For some, it may mean that the trajectory of their business is irreversibly altered. We see this as an opportunity for true entrepreneurs to shine, for this forced confinement to be leveraged for introspection, innovation and re-invention.
 14 5月 2020 Silvana Zammit
An overview of the safeguards provided at law - Is purchasing real estate in Malta safe?
Malta as an International Base for South Africans
 22 4月 2020 Sean Geeney
The war against COVID-19 – Malta’s efforts, incentives and key actions to maintain balance.
 03 4月 2020 Maria Chetcuti Cauchi
Motion Trademarks in Malta
The Malta Global Residence Programme compromises various benefits; including a work permit entitlement, an EU Schengen Long Term Residence and no minimum presence required amongst others. However, the aim behind this programme is to formally acknowledge as a tax resident, foreign nationals satisfying the eligibility criteria of such programme.


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