International Tax

We specialise in international tax matters with a particular focus on the tax issues faced by non-domiciled (“non-dom”), dual-resident and expatriate (“expat”) taxpayers. For ‘Ceased to be Residents’, we handle declarations to inform the SARS of the taxpayer’s change in tax.

It is important that you take specialist advice in order to ensure you take full advantage of international tax structuring opportunities. In nearly all cases, it is better to consider any planning opportunities relevant to your circumstances in advance.


  • Assessing Residence and Domicile Position
  • Structuring Offshore Assets
  • Offshore Company and Trust Planning
  • Tax Treaty and Dual Residence Planning and Reporting
  • Capital Gains Tax, Immovable Property, Taxes on Capital
  • Transfer Pricing Advice
  • Cross-Border VAT
  • Intermediary Holding Companies and Headquarter Companies
  • International Tax Act interpretation
  • Cross Border Financing
  • Withholding Tax Advice
  • International Traffic
  • International Employment Income
  • Tax Avoidance
  • Controller Foreign Companies
  • Manage Global Structural Tax Rate
  • Tax Havens
  • Exchange Control

We specialise in tailor-made solutions for wealth preservation and enhancement and provide tax efficient structures to facilitate cross-border transactions.

Worldwide there is a definite and rapidly growing trend to safeguard assets against high rates of taxation, unstable political and economic factors, business risks and personal circumstances, through the use of offshore structures.

If you also are seeking to plan your affairs to maximize fiscal efficiency and to protect your wealth for now and for future generations, or if you want to grow across international borders and wish to achieve financial efficiency, then you should be talking to us.

Looking for a quote tailored to your needs?