Each desk is our channel to a region — the way we reach, inform and serve investors who want to build European and Dutch structures. We bring the structuring and the network to where the investment happens.
Investors and entrepreneurs in the Netherlands, Belgium and Luxembourg — our home base.
Spanish and Balearic clients, plus the Canary Islands ZEC regime.
Nordic investors structuring European holdings through the Netherlands.
Central and Eastern European capital seeking EU-grade structures.
German, Austrian and Swiss clients building cross-border holdings.
Gulf and Middle Eastern investors entering Europe with substance.
African entrepreneurs and institutions building genuine European platforms.
Groups and founders from Asia, Australia and New Zealand expanding into Europe via Dutch and Luxembourg vehicles.
LatAm families and businesses structuring European and global assets.
US and Canadian founders and groups building a European platform, and the exit charges they meet on the way out.
British and Irish groups holding and operating inside the single market after Brexit.
Cross-jurisdictional and offshore coordination for global clients.
Wherever you start, the route runs through Amsterdam. Select your region to reach its desk.
For international investors, family offices and businesses — from the Gulf, Latin America, Asia and Africa — seeking the most efficient credible way into Europe, this desk pairs the EU's lowest headline corporate rate with the Netherlands. We seat a substance-backed Canary Islands ZEC (Zona Especial Canaria) entity — a 4% corporate-tax regime on full EU soil, with treaty access — or the comparable Madeira regime beneath a Dutch BV holding.
The result is an optional low-tax entry door to the single market, combined with the participation exemption, one of the world's largest treaty networks and reach across 450M+ consumers.
The European Union's lowest headline corporate tax, on Spanish soil with full treaty and single-market access.
The regime holds only where real presence, employment and qualifying activity are in place — never a shell.
An optional low-tax layer under the Dutch structure, combined with the participation exemption — never a substitute for it.