Tools · Tax Simulator
Tax Simulator
Multi-jurisdiction company income → corporate tax → dividend → personal tax → take-home. A comparison across 11 jurisdictions.
This simulation is indicative only. Tax structuring requires a licensed advisor (e.g. CPA/tax lawyer). This is a tax comparison, not advice.
Company Profile
Individual Profile
Special-regime eligibility
Result
UAE
Dividend layer
⚠ DTAA not modeled in Phase 1, cross-border dividends assume the worst case.
Personal layer
↳ Regime: Art. 20/D, 20-Year Foreign-Income Exemption, foreign income exempt
Capital gains (informational, not calculated): No capital gains tax for individuals.
Tax data version: 2026-06-08 · FX: ECB reference rates (approximate snapshot) (2026-06-08) · All sources →
Tax Simulator, FAQ
- Turkey (TR), Portugal (PT), Italy (IT), UAE / Dubai (AE), Greece (GR), Malta (MT), Cyprus (CY), Hungary (HU), Latvia (LV), Bulgaria (BG), and Ireland (IE). 11 jurisdictions in total.
- It models the full income chain: company revenue → corporate tax → net profit → dividend withholding tax → personal income tax → take-home USD. You can compare up to 5 companies side by side across all 11 jurisdictions.
- IFICI (formerly NHR 2.0) is Portugal's tax incentive for qualifying new residents. It applies a reduced 20% flat rate on certain Portuguese-source income and exemptions on foreign income for up to 10 years. The simulator flags this regime with an amber disclosure for professional verification.
- Rates are based on 2025–2026 legislation including Turkey's Law 7582 (20-year foreign income exemption). All data is indicative, tax law changes frequently and figures should be verified with a licensed tax advisor before any investment or relocation decision.
- Yes. Append ?residency=XX to the URL using the country's ISO code (e.g. /tools/tax-simulator/?residency=PT for Portugal, ?residency=TR for Turkey). The simulator will pre-load that jurisdiction on arrival.
- No. The simulator is for indicative modelling and educational purposes only. Tax obligations depend on individual circumstances, treaty positions, and jurisdiction-specific rules. Always consult a qualified tax advisor.
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11-jurisdiction comparison. Updated for 2026. One email.