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20 January
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67 505 970
New changes in the Immigration Law of Latvia
On March 2, 2017 the new amendments to the Immigration Law of Latvia (hereinafter referred to as  - the Law) came into effect, according to which several new grounds for obtaining a temporary residence permit in Latvia (hereinafter referred to  as –TRP), as well as the conditions for obtaining a TRP on the basis of registration of a representative of a foreign merchant.
Registration of refugee or alternative status obtaining, determination of protection from deportation (extradition)
Law office INLAT PLUS offers the following services in the field of obtaining a refugee or alternative status:
Член Торгово-промышленной палаты Латвии Latvijas Tirdzniecības un Rūpniecības Kameras biedrs Member of the Latvian Chamber of Commerce and Industry

About Us

Since its foundation in 1996 the law office “INLAT PLUS” has been one of the most active and leading companies providing legal service in Latvia. The variety of the qualified legal services provided by the company will meet the most demanding requirements of its clients (legal and physical persons).

Contact information

Address of the office:
Brivibas 40-15, LV-1050, Riga, Latvia ip@inlatplus.lv
(+371) 67505970
(+371) 26403577
(+371) 67505978

Business in Malta

In cooperation with our Maltese partners law firm INLAT PLUS offers qualified legal assistance in the following issues:
- Set-up, administration and management of holding, trading and asset protection structures;
- Trust formation and management;
- Setting-up and maintenance of Maltese funds;
- Full cycle support of online gaming activities;
- Private and commercial marine and aviation registration and management;
- Accounting and payroll services in Malta;
- Permanent/ ordinary residency and real estate acquisition in Malta.
Why Malta?
- Malta is part of the European Union
- Very Low Effective Tax Rate (from 0% to 5%)
- 100% Participation Exemption on dividends
- Low registration and annual fees
- Strong corporate legislation which secures the protection of investors and shareholders
- Access to a wide double tax treaty network and domestic relief from double taxation
- Initial paid up share-capital may be as low as €240.00
- Strong, Reputable yet Flexible Banking System
- Remittance basis of taxation foreign companies managed and controlled from Malta
- No Controlled Foreign Company Legislation
- No structured transfer pricing rules
- No thin Capitalisation rules
- No withholding tax on outbound dividends, royalties and interest payments
- No capital gains or stamp duty on the disposal of shares by a non-resident shareholder/s