M26079 -Trusts – a Malta income tax and duty perspective
Registration Time: 13:15
Sessions Time: 13:30 – 16:45 including a 15-minute break
Speakers: Mr Christian Vella & Ms Nicola Attard
Venue: Online Webinar
Participation Fees
MIA Members: €40.00
Non-MIA Members: €75.00
Retired Members: €20.00
Students: €30.00
*Group bookings for 3 or more participants available.
Background Information
Transactions and structures involving a trust arrangement can give rise to different Malta income tax and duty considerations, depending on the fact pattern of the case at hand. The applicable Malta income tax and duty considerations throughout the existence of the trust will be covered in this seminar.
Specific topics to be covered during the session
- Malta income tax and duty implications of settlements on trust;
- Implications on beneficiaries from a Malta income tax perspective on distributions from a trust;
- Malta income tax and duty considerations arising upon a transfer of the beneficial interest in a trust
Why is the session of relevance to our members?
This session will aim to provide attendees with a better understanding of the relevant Malta tax and duty considerations applicable to trusts, including through discussing a number of examples.
Target Audience
Accountants, tax advisors, tax practitioners, lawyers.
Speaker’s Profile
Christian Vella is currently a senior tax manager at Deloitte Malta. He currently forms part of the tax mergers and acquisitions department within the firm’s tax practice. Chris mainly focuses on engagements primarily relating to shareholder restructuring exercises, succession planning engagements, mergers and acquisitions as well as general tax advisory services.
Nicola Attard is a manager at Deloitte Malta, forming part of the mergers and acquisitions department within the firm’s tax practice. She currently focuses on tax advisory engagements, primarily relating to succession planning, operational restructuring exercises as well as mergers and acquisitions.
Event CPE Competencies
3 Core
Webinars Terms and Conditions
Terms and conditions apply