Estimate how Cyprus tax residency, non-dom status, crypto disposals, dividends, company profit and IP Box income may compare with your current tax position.
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Estimated annual tax in your current country vs. Cyprus, assuming non-dom eligibility where relevant.
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All Cyprus figures use the enacted 2026 tax framework, effective 1 January 2026.
Flat rate under Article 20E of the Cyprus Income Tax Law, effective 1 January 2026. Applies to qualifying crypto disposals such as selling, swapping or spending crypto. Ring-fenced from other income.
Under the non-domicile regime, qualifying individuals may receive dividends exempt from Special Defence Contribution for 17 years. Treatment depends on eligibility and income source.
Cyprus corporate tax is 15% under the 2026 framework. Qualifying crypto disposal gains may be taxed separately at 8% rather than under the general corporate tax base.
Qualifying intellectual property income — including eligible software, patents, AI models and SaaS — may reach an effective 3% rate through the Cyprus IP Box (15% corporate tax with an 80% exemption on qualifying IP profits).
The 60-day rule can allow Cyprus tax residency with at least 60 days in Cyprus, provided statutory conditions are met, including ties such as business or employment activity and a permanent residence.
Cyprus does not levy wealth tax, inheritance tax or a general exit tax. Cross-border assets and other jurisdictions can still affect the overall position.