Cyprus · Tax regime

Intellectual Property Box Regime

Open Last verified July 2026

The structure is unchanged, but the effective rate moved from roughly 2.5% to roughly 3% on 1 January 2026. That is a mechanical consequence of the corporate rate rising from 12.5% to 15%. The 80% exemption and the OECD Modified Nexus Approach are untouched.

This is still one of the lowest effective IP rates in the EU, at roughly 3%. It is genuinely Nexus-compliant, not a legacy regime grandfathered in under old rules. The real trap is not the rate. It is the eligibility perimeter. Trademarks and marketing intangibles were excluded years ago, so brand-heavy businesses get nothing here.

Qualifying routes

Qualifying patents

80% of qualifying profit is exempt

Copyrighted software

80% of qualifying profit is exempt

The facts

Total landed cost
There is no entry cost. The real cost is the R&D substance that the Nexus Approach requires you to locate in Cyprus.
Route type
Tax regime, not a visa
Physical presence
This is a corporate test. The company must be Cyprus tax resident with genuine R&D activity.
Family
Not applicable. This is a corporate regime
Permanent residency
Not applicable
Citizenship
Not applicable
Language test
Not applicable
Dual citizenship
Permitted
Requirements
Cyprus tax resident companyqualifying intangible: patents or copyrighted software onlycompliance with the OECD Modified Nexus Approach linking benefit to Cyprus R&D spenddetailed books and records tracking qualifying expenditure per asset
What can go wrong
  • Trademarks, brands and marketing-related IP do not qualify. This is a common and expensive misunderstanding.
  • The Nexus Approach ties the benefit to R&D expenditure actually incurred by the Cyprus company. Acquired IP and R&D outsourced to a related party dilute the qualifying fraction.
  • The corporate rate rise to 15% pushed the IP Box effective rate up to roughly 3%. Any model still built on 2.5% is now wrong.
  • Cyprus's 15% corporate rate exists to satisfy the OECD global minimum. But Pillar Two's own rules can claw back the benefit of an approximately 3% effective rate for groups within its scope. For a large multinational, the IP Box may deliver far less than the headline suggests.
  • Substance gets audited. A Cyprus company with no engineers is not an IP Box company.

Frequently asked

How much time must I spend in Cyprus?

This is a corporate test. The company must be Cyprus tax resident with genuine R&D activity.

Who can I include in the application?

Not applicable. This is a corporate regime.

Before you commit capital to this

Tell us your citizenship, your tax exposure and where your family wants to be in ten years. If this route is wrong for you, we will say so.

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