プライベートトラスト(信託)

ベリーズ:ベリーズ法人でビジネスライセンスの取得

An International Business Company (IBC) is a proven corporate vehicle suitable for a wide range of international trading, investment and commercial activities. It is also the most popular type of offshore corporation commonly formed for asset protection, offshore banking and operation of businesses. According to Belize Legislation different activities can be carried out by an IBC registered in Belize once the company has procured a Special License. The following licenses may be obtained from the International Financial Services Commission (IFSC) for activities with their minimum capital requirements listed below: Trading in foreign exchange – US$500,000 Trading in financial and commodity-based derivative instruments and other securities (e.g. futures, options, interest rates,…
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ベリーズ:オフショア信託(トラスト)の設定

Building and Establishing your TRUST with us ベリーズ:オフショア信託(トラスト)の設定 Belize’s Trust Law is one of the strongest and most flexible asset protection trust legislations in the world and highly favoured for estate planning, asset protection and investment purposes. Trusts are founded by the persons (settlors/grantors) who pass his or assets to another person(s) called the Trustees. Clearly said individual needs to trust the trustee he appoints for administering his trust assets. The Trustees then manage the assets as per the terms and conditions set out in the trust deed for the benefit of a third party – the beneficiary. The primary benefit of a trust is that it allows the legal…
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中国におけるオフショアトラスト(オフショア信託)を利用した資産管理

China Family Wealth Planning Through Offshore Trusts 中国におけるオフショアトラスト(オフショア信託)を利用した資産管理 The offshore trust settled in a Common Law jurisdiction is distinct from the trust principle in China and the objectives of the trusts could not be further apart. Chinese trusts, predominantly structured as single capital trust (单一资金信托), are designed with the commercial purpose to provide capital to private companies, incentivizing private lending and economic growth. Intended as investment vehicles providing credit to private organizations at high yields, inherently Chinese trust also carry higher risk, which became evident in the past years when some of the trust companies only narrowly avoided their defaults. Offshore trusts on the other hand are typically designed for…
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ニュージーランドでの資産保全信託(アセット・プロテクション・トラスト)

New Zealand as an Asset Protection Trust Jurisdiction ニュージーランドでの資産保全信託(アセット・プロテクション・トラスト) Many Zetland clients will be familiar with the Belize Trusts and the fact that Belize is the most aggressive asset protection jurisdiction in the world with a statute of limitations, (for fraudulent conveyance), of zero years. As a consequence that means that the initial gift to the trust (or any subsequent gift) can never be challenged through the Belize courts, once accepted by the trustee, no matter what the circumstances leading to the gift. That is all well and good, of course, but Belize is perceived to be a very offshore jurisdiction and bodies such as the OECD and the ECB…
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IPOと香港信託(事業信託、ビジネストラスト)

HK Trusts for IPOs Business trusts in IPOs and listing structures are no longer just a niche product in Asia. Although REITs are still representing the majority of listed trusts, business trust have become an alternative offering vehicle to a straight corporate listing. Singapore is Asia’s most developed trust listing hub with 49 listed trusts, of which 20 are business trusts. As early as 2004, Singapore implemented its business trust regime and listing rules. In Hong Kong the first business trust listed in 2011. It was the PCCW spin-off HKT. Since then Hong Kong has seen 3 more trust listings. Among them Langham Hospitality Investments and HK Electric which have…
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香港信託財産プランニング

Hong Kong Trust Estate Planning Thanks to China’s reform and opening-up policy the country’s private sector has been thriving in the past three decades which had more than 3 million private first generation entrepreneurs build a successful family business in the Mainland. These first generation entrepreneurs are now aged between 55 and 75 and will face business succession in the next five to ten years according to a survey conducted by the Chinese Academy of Social Sciences. When there is a generation change in Asian family businesses and transition of leadership of the family business, poor estate planning can lead to public embarrassment and threaten the entire family business which…
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香港信託(個人トラスト)を使った資産の世代継承スキーム

HK Trusts for Estate and Succession Planning When there is a generation change in Asian family businesses and transition of leadership of the family business, poor estate planning can lead to public embarrassment and threaten the entire family business and assets. Business patriarchs preparing for the transition to the next generation should take the following three aspects in consideration and speak to a Zetland Trust advisor: Ownership structure Family governance Corporate governance Hong Kong trusts allow the family business to incorporate these aspects and take an individual approach to a harmonized transition of the generations. We have listed the 5 reasons why a Hong Kong trust is ideal for estate…
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香港信託が遺産継承に有効な5つの理由

5 Reasons Why You Should Consider A Hong Kong Trust For Your Estate and Succession Planning The long awaited Trust Law (Amendment) Act took effect on 1st Dec 2013 bringing Hong Kong’s trust law to a competitive level with other major trust jurisdictions such as UK, Singapore and offshore financial centres in Europe and the Caribbean.When developing the amendments, lawmakers were listening to and consulting with industry participants and professional organizations, updating Hong Kong’s 80 year old trust law and making it fit for the 21st century based on current best practice. We have listed the 5 reasons why a Hong Kong trust should definitely be considered for estate and…
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香港の信託法改定版、2013月12月1日より執行

HK’s Trust Amendments to Take Effect from 1st December HK TrustHong Kong being the gateway to China, its trust industry has a clear comparative advantage over other locations in Asia. However, many industry players have long felt that Hong Kong’s premier position is being eroded by its trust law, which is relatively out of date and inflexible. Since its enactment in 1934, the Trustee Ordinance has not been substantially reviewed and amended. In response to such market sentiment and increasing competition from Singapore, the Trust Law (Amendment) Ordinance 2013 was gazetted in February this year and will take effect from 1st December. These amendments are intended to strengthen the clarity…
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香港信託法令(改訂)2013

HK Trust Law (Amendment) Ordinance 2013 Hong Kong is a major asset management centre in Asia. HK trustee’s law is based on the HK’s trustee Ordinance that had been practically untouched for the last 85 years is based on the English trustee act 1925, until the new Trust Law (Amendment) Ordinance 2013. Some major common law jurisdictions like the UK and Singapore have reformed their trust regulations in the recent years to facilitate trust administration and attract more trust businesses making it more imperative than ever for HK to modernize its outdated trust laws in these aspects and to adapt to the evolving market’s needs. The Trust Law (Amendment) Ordinance…
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