Mr Angelo Chirulli is a senior UK and international tax adviser, Tax Partner and CEO of Vectigalis AC Tax Limited. He is an ICAEW Chartered Accountant (FCA/BFP), ADIT-qualified international tax specialist, Trust and Estate Practitioner (TEP), member of the International Fiscal Association and Italian Dottore Commercialista / CPA. He has more than 26 years of experience across international tax, corporate tax, personal tax, restructuring tax, transfer pricing, treaty analysis, private client and cross-border structuring.
Angelo lectures and presents for professional audiences, including MBL Seminars, Redcliffe Training and ADIT / CIOT-related international tax education. His recent and forthcoming training topics include double tax treaties, the Multilateral Instrument, beneficial ownership transparency, CFCs, corporate residence, cross-border corporate structuring, offshore governance, Pillar Two, transfer pricing and cross-border M&A.
International tax planning has changed materially in the post-BEPS environment. Structures that may once have been assessed mainly by reference to legal form and treaty wording are now tested through commercial rationale, beneficial ownership, substance, governance, transfer pricing, exchange of information, anti-abuse rules and documentaryevidence.
For Mauritius-based professionals, the practical question is not merely whether a structure produces a tax result, but whether the structure can be explained, supported and defended before banks, regulators, tax authorities, counterparties and clients. This course addresses the issues that typically arise when Mauritius companies, funds, holding platforms, treasury entities or service arrangements are used in wider cross-border structures.
By the end of the course, participants should be able to:
1. International tax planning in the post-BEPS environment
2. Core building blocks of a cross-border tax structure
3. Beneficial ownership and economic substance
4. Treaty anti-abuse and the MLI
5. Practical adviser toolkit
Teaching methodology