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Mauritius has been chosen as the country of domiciliation by around 541 funds as at the end of June 2007,
representing assets under management of some US$43.1 billion.
Whilst Mauritius is the recognised jurisdiction worldwide for funds into India, our centre has diversified its markets quite successfully with investments being made in China, South East Asia and Africa, as well as mature markets.
Funds set up in Mauritius enjoy a low tax regime and have access to its network of double taxation agreements.
There is no capital gains tax in Mauritius.
The following types of funds have been set up in Mauritius:
- Open ended/close ended portfolio funds
- Private equity/venture capital funds
- Hedge funds
- Debt funds.
Funds can be set up as a GBL1 company or a trust. In the case of a GBL1 fund, it may be in the form of a Protected Cell Company governed by the Protected Cell Company Act 1999, as amended in 2001.
Our Services
- Advice on tax, regulatory and statutory matters
- Structuring and formation
- Compliance
- Fund administration and accounting
- Net Asset Value calculation
- Statutory and tax filings
- Provision of registered office address in Mauritius
- Procurement of Mauritian resident directors
- Provision of corporate secretarial and registrar services.
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