Modernizing A Global Tax Hub
Cyprus has introduced a broad overhaul of its tax framework effective January 1, 2026, aimed at strengthening the country’s position as an international business and investment hub. The reform updates personal taxation rules, expands targeted exemptions and modernizes existing reliefs in an effort to attract internationally mobile professionals, foreign executives and high-net-worth individuals.
Redefining Tax Residency
The revised regime maintains Cyprus’ existing residency structure while clarifying the criteria under which individuals qualify as tax residents. Under the updated Income Tax Law of 2002, tax residency can be established either through the traditional 183-day test or the alternative 60-day test.
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183-Day Test
Individuals physically present for an aggregate of 183 days or more within a calendar year are automatically classified as Cyprus tax residents. Consequently, their worldwide income is subject to Cypriot taxation, irrespective of remittance.
60-Day Test
This alternative residency criterion applies to those who have not established tax residency in another country. To qualify under the 60-day test, an individual must:
- Maintain a permanent residence in Cyprus;
- Carry out a business or be employed with a Cyprus-based entity for the entire period; and
- Be physically present in Cyprus for no less than 60 days during the tax year.
Statutory rules clearly delineate how days are counted, guaranteeing consistency for both the 183-day and 60-day tests.
Progressive Income Tax And Exemptions
The reform introduces updated progressive tax bands, which are applicable as follows:
| Income Band | Tax Rate |
|---|---|
| Below €22,000 | 0% |
| €22,001 to €32,000 | 20% |
| €32,001 to €42,000 | 25% |
| €42,001 to €72,000 | 30% |
| €72,001 and above | 35% |
Additional exemptions, such as those on dividend income, securities gains, certain export remunerations, and select foreign exchange gains, further streamline the tax liability for qualifying individuals.
Enhancing Competitiveness Through The Non-Dom Regime And Employment Incentives
A cornerstone of Cyprus’ personal tax framework is its non-domicile regime, which has been prominent since 2015. The regime offers significant tax relief through exemptions from special defence contributions on passive income. Notably, individuals not deemed domiciled in Cyprus benefit from full exemption until they complete 17 years of residency, preserving favourable long-term conditions.
Employment Income Tax Exemptions
Further bolstering its reputation as a magnet for global talent, Cyprus provides tiered tax exemptions for foreign employees. Key highlights include:
- A 50% exemption for high-income first employment, applicable to those earning over €55,000 annually who have not been local residents for the preceding 15 years; this relief lasts for 17 tax years.
- A 20% exemption for mid-level foreign employees transitioning from non-resident employment, with a cap of €8,550 per annum over seven tax years.
- A 25% “brain gain” exemption, designed to attract skilled professionals, which applies for up to seven tax years and is available only once in a lifetime.
Legacy exemptions continue to benefit those whose employment commenced under previous statutory frameworks, maintaining continuity and stability for long-term stakeholders.
Innovations In Equity-Based Remuneration And Broader Employment Benefits
The reform further introduces preferential taxation for employee share option plans and share awards, applying an 8% tax rate to qualifying long-term incentive schemes. Authorities said the measure aligns executive remuneration structures more closely with international practices. At the same time, the broader definition of taxable employment income now incorporates pre-employment bonuses and selected contractual termination benefits, helping clarify the legislative framework.
Supporting Family Welfare And Sustainable Investments
Beyond executive and corporate taxation, the reform package also includes measures designed to support households and environmentally focused investment activity. Enhanced deductions linked to children, housing relief and investments in electric vehicles and renewable energy projects form part of the updated framework.
Conclusion
The overhaul of Cyprus’ personal tax framework reinforces the country’s broader strategy of attracting international investment, executive mobility and globally mobile professionals. Updated residency criteria, revised tax bands, non-dom provisions and expanded employment incentives collectively strengthen Cyprus’ position within the European market.







