
Tax & Holding Structures
A structure that survives one audit cycle is not a structure. We design holdings, treaty routings, and estate vehicles that are defensible, transparent to the authorities that matter, and quiet to those that do not.
What this involves
- 01Group reorganisations, IP holding structures, treasury centralisation.
- 02Trust, foundation, and private investment company design.
- 03Treaty routing analysis and substance planning.
- 04Coordination with your tax counsel and audit firm end-to-end.
Where this applies
A non-exhaustive list of jurisdictions we hold live capability in for this discipline.
Luxembourg
SOPARFI holdings and SCSp fund vehicles.
Netherlands
BV holdings and cooperative treasury structures.
Ireland
IP-owning entities and section 110 SPVs.
Singapore
Regional HQ and treaty-based holdings for Asia.
Mauritius
GBC holdings for African and Indian inbound.
United Arab Emirates
Corporate tax planning and free zone substance.
Jersey & Guernsey
Private trust companies and family investment vehicles.
Liechtenstein
Foundations and private trust arrangements.
Cayman & BVI
Fund and JV holding vehicles with treaty overlays.
Recent scenarios
- 01
A founder consolidates operating entities into a Luxembourg holding ahead of a series-C round.
- 02
A GCC family creates a Jersey PTC over a multi-generation portfolio of listed and private assets.
- 03
An IP-heavy business relocates ownership from a legacy US entity into an Irish holding with substance.
How Reevers approaches this
We start from the outcome the client wants in five, ten, and twenty years, then work backwards. Structures built for the present tense age poorly.
We coordinate with your existing advisors rather than replacing them. Continuity of counsel is a feature, not a friction.
