Practical, transparent tools for Cyprus IP Box and Transfer Pricing decisions — built by a regulated audit and tax practice.
Our tools translate current Cyprus tax rules into transparent screening calculations. They are deliberately conservative, show their assumptions and link back to the technical basis.
Model the nexus fraction, qualifying IP profit, 80% deduction, 15% tax and indicative saving versus standard Cyprus CIT.
Test goods, services, royalties/IP, financing and other controlled-transaction categories against the 2026 thresholds.
They are designed as the first 5% of an engagement: enough to identify where professional work may be required, but not to replace analysis of the underlying facts. No figures entered into the tools are transmitted to us.
The tool is indicative. We can review the underlying facts, documentation and tax position and provide a scoped professional engagement.