The problem is ours.
HOLDING
At Carrillo Asesores we always work for your success.
Wherever you are.
If you have a horizontal structure and you want to protect your personal and business assets, save financing costs, save taxes, etc. You need a HOLDING structure.
A HOLDING structure gives the entrepreneur decisive tax and legal advantages.
Obtén un Análisis Fiscal Gratuito y descubre si la mejor forma de re-organizarte es una estructura Holding.
HOLDING
At Carrillo Asesores we always work for your success.
Wherever you are.
If you have a horizontal structure and you want to protect your personal and business assets, save financing costs, save taxes, etc. You need a HOLDING structure.
A HOLDING structure gives the entrepreneur decisive tax and legal advantages.
Get a Free Tax Analysis and discover if the best way to reorganize is a Holding structure.
FAQ. WE RESPOND.
What is a Holding Company?
A Holding Company is a cluster of companies according to which, a Company (Parent or Head Company), owns all or part of the shares/participations of other companies, in most cases exercising control over all its companies or subsidiaries.
The term Holding company comes from the English verb "Hold", i.e. to own. This type of company has merged in Spain in recent years as the best legal and organisational form of business growth, as it offers many legal, organisational and tax advantages.
What types of Holding exist?
Within the commercial sphere, a Holding Company can be classified as a "Pure Holding Company", when the company only owns the shares and participations of its subsidiaries, carrying out the activity of buying, incorporating, selling or financing its subsidiaries or dependent companies.
There is also the concept of "Mixed Holding", when in addition to the functions of the Pure Holding, the parent company develops management services, administration of the dependent companies, as well as providing different services to its subsidiaries, such as administrative, financial, accounting, etc.
What advantages does this type of structure offer?
The main advantages in the fiscal and legal field are the exemption of dividends from the subsidiaries to the parent company. The latter can distribute these dividends in investments or finance other companies without financial cost. Having exemption in capital gains on the sale of shares or subsidiaries by the Holding company, favouring generational change, exemption in Wealth Tax for all companies, exemption in Inheritance and Gift Tax for the cluster, are some of the other advantages.
Can I change to a Holding structure at no cost?
The execution of this type of reorganisations can be processed through a special tax deferral scheme provided for in articles 76 to 89 of Chapter VII of Title VII of Law 27/2014, of November 27th, on Corporate Income Tax. In order to benefit from reorganisation at no tax cost, a tax report must be issued to guarantee the operation.
SERVICES. HOW DO WE RESTRUCTURE YOUR COMPANIES?
Once we have reviewed the information, documents and supervised the client's business objectives, we assess and deliver a tax/legal report on the operation based on the current legislative framework to secure tax neutrality, compliance with requirements, final comments and detailed explanation to the client.
We take care of the legal fees so that you simply have to go to the Notary to sign the reorganisation, without any further complications or difficulties.
We establish a “Roadmap” for the start-up and activation of your group of companies and your Holding company, so that it adapts to the operation and achieves the desired objectives.
Check if the holding structure adapts to your needs and those of your company.