Insights

Malta Strengthens Family Office and Treasury Operations Framework
Targeted Incentive for Senior Roles Malta Strengthens Family Office and Treasury Operations Framework
Malta introduces a 15% flat tax rate for senior roles in family offices and treasury operations under Legal Notice 250 of 2025. The new framework aims to attract top financial talent and strengthen Malta's position in wealth management. Learn about eligibility, safeguards, and how Grant Thornton Malta can assist.
Luke Aquilina
| 2 min read |
Aircraft Leasing and Leasing Chains
Navigating VAT in the Skies: Aircraft Leasing and Leasing Chains
Understand how VAT applies to aircraft leasing in Malta and the EU, including dry and we leases, leasing chains, and exemptions for international transport. Essential insights for aviation finance and tax / VAT professionals.
Deon Caruana
| 4 min read |
Why Aviation is Different
Navigating VAT in the Skies Why Aviation is Different
This article explores the unique VAT landscape in the aviation industry, focusing on international passenger transport and aircraft leasing. It explains how Maltese and EU VAT laws apply to airlines, the role of Air Operator Certificates, and the difference between dry and wet leases.
Michela Scicluna
| 3 min read |
Turning Pay Transparency Compliance into a Competitive Edge
Strategic Insight Turning Pay Transparency Compliance into a Competitive Edge
Explore how Malta's mid-sized firms can transform EU Pay Transparency Directive compliance into a strategic advantage. Uncover actionable steps to boost pay equity, strengthen employer branding, and build a culture of trust and operational excellence.
Anne Marie Degabriele
| 3 min read |
Malta's New 15% Final Tax Regime
What It Means for Businesses Malta's New 15% Final Tax Regime
On 2 September 2025, Malta enacted Legal Notice 188 of 2025, introducing an elective 15% Final Income Tax Without Imputation regime. This new framework allows Maltese companies, certain bodies of persons, and trusts to opt for a flat 15% tax on chargeable income, replacing the traditional full imputation system. The regime includes a five-year lock-in period, exclusion for certain dividend income, and a safeguard rule ensuring tax liability is not lower than under the ordinary system. designed to align with global tax reforms such as OECD's Pillar Two, this move offers businesses strategic flexibility and international tax clarity.
Luke Aquilina
Michael Agius
| 3 min read |
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