Hi, do you remember when I was posting an article about the European Parliament of Enterprises of 2008? Where I had been as a member of European enterprises.
It’s coming soon again. When? 18th of October, 2012.
Contact your chamber of commerce and register your company. I’m not really sure when is the application deadline for each country however, it’s just a reminder.
by organizer: “For the “European Parliament of Enterprises” EUROCHAMBRES brings together over 750 business men and women, coming from 45 European countries who get a chance to ‘become’ Members of the European Parliament for one day, debating and voting on some of the most crucial topics currently at the heart of the political debate.”
more info: http://www.parliament-of-enterprises.eu/index.php
good luck with the application
It has been already 4 years since I have been chosen to represent Czech Republic as the entrepreneur ( 20 in total) in EUROPEAN PARLIAMENT OF ENTERPRISES 2008. It allowed businessmen and businesswomen to become Members of the European Parliament for one day, debate and vote on some of the most crucial topics currently at the heart of the political debate. If you are an entrepreneur one of the EU country and would like to rise your hand and say your opinion in the Hemicycle infront of 750 fellows, send a request to your chamber of commerce. The next event is going to take a place in Brussels during the autumn, 2012.
One of the most important matter for this event is networking and find potential customer or even to start new project! It’s not a vacation or politics its about your company, your deal!
PS: Yes, I did shake with hand of Jose Manuel Barrosso 🙂
Malta as a part of European Union (Shengen Agreement and Eurozone) is considered as one of the most efficient jurisdiction in terms of corporate tax. Malta is more relevant jurisdiction when such company needs to trade with other EU companies and North America. All Malta companies pay 35% in income tax on company profits. However, when this profit is distributed in dividends to the shareholders ( which should be every year) then all those shareholders who are not domiciled in Malta are entitled to claim a refund of company tax of 6/7. This means that the net effective tax suffered on company profits is actually 5%. A holding company should be located in a jurisdiction with excellent legal and financial infrastructure as Malta. The tax ensures that repatriation of suffers minimum or no exposure to tax and creates an efficient exit route for the profits of its subsidiaries.
The refund system works very efficiently and the refund is normally in shareholder’s bank account in less than 2 weeks from the company paying the tax due.
The above makes Malta the lowest tax jurisdiction for NON MALTESE in the whole of the EU. For this reason Malta have been getting around 5 thousand new companies in Malta every year, mostly set up by European investors who wish to reduce their tax costs. Tax is in fact a cost that must eventually be reflected in the price. And hence the lower the tax cost, the lower the selling price, and consequently competitivness.
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