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Expert Analysis

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Direct Tax
In the second part of this series, the focus shifts to how taxpayers can manage ongoing risks across the lifecycle of cross-border structures
May 19, 2026
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  • Malta is considered a jurisdiction of choice for the setting up of a holding company. The use of English as an official language, a corporate law system modelled on UK principles and a flexible participation exemption system have all contributed to this, explain André Zarb and John Ellul Sullivan of KPMG.
  • Despite the increased pressure on tax havens, advisers writing from a number of traditional holding company locations believe their respective jurisdictions will remain attractive for business. All the chapters from International Tax Review’s latest Holding Companies supplement are available to view in a screen-friendly PDF format.
  • Tax avoidance has come under increasing public scrutiny in recent years. But Stefan Kuhn and Sébastien Maury of KPMG believe Switzerland will nevertheless remain attractive for investors and multinationals, not least as an ideal holding location.

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