Verticals

Start from residence. Then read the international structure.

Each vertical starts with a tax-residence fact pattern, then reads the structure attached to it: LLC, holding, Cyprus company, Estonian OÜ, UAE entity, crypto operation, accounts, payment rails and reporting traces.

Services

The RiskMap reads residence and structure in one run.

The service pages explain the verticals. The wizard reads the facts once and maps residence, entities, obligations, citations, confidence, and review flags together.

$99 · 1 entity $149 · multi-entity
Services

Verticals by residence pattern

Start from the tax-residence path closest to your facts. The cockpit itself is not limited to one vertical.

Foreign entities for Spain / EU residents

US LLCs, Estonian OÜs, Cyprus companies, holdings and similar vehicles read from the owner's tax-residence position: FinCEN BOI where relevant, Form 5472, FBAR, state nexus, CFC, Modelo 720/721, DAC7 and treaty position.

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Residence moves with structures attached

Paraguay, Cyprus, Andorra, Dominican Republic and comparable transitions. We read the move from the angle of what survives at origin: exit obligations, lingering ties, CFC for the entities you carry, treaty position and proof of real relocation.

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Spain tax resident or Spain-exposed

For people and structures connected to Spain by residence, assets, source income or management: Beckham eligibility and exit, Modelo 720/721, IRPF on foreign income, RD 253/2025, CESOP, ETVE structures and the Spanish treatment of foreign entities.

See Spain coverage →

Crypto holders and operators by residence

DAC8 / CARF reporting on the operator side, FATCA / CRS exposure on the holder side, MiCA where applicable, and residence-specific treatment: Spain Modelo 721, Portugal post-2023, UK CGT rebasing, US Form 1099-DA when active.

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UK FIG / TRF transition

The remittance basis ended on 6 April 2025. We read your case under the new FIG (Foreign Income and Gains) regime — eligibility for the 4-year window — and TRF (Temporary Repatriation Facility) for pre-April 2025 balances, separating clean capital from mixed funds.

See UK coverage

Portugal IFICI

The NHR closed to new applicants on 1 January 2025. Outmove reads the IFICI regime (Art. 58.º-A EBF, Portaria 352/2024/1) checking EQF level 6+, three years of professional experience and the qualifying employer relationship. Grandfathered NHR is handled separately.

See Portugal coverage

UAE Corporate Tax & QFZP

Federal Corporate Tax at 9% above AED 375k, QFZP qualifying activities, and the de minimis test (lesser of 5% of total revenue or AED 5M). Loss of QFZP applies to the current period and four following — we read your activities to flag this before it happens.

See UAE coverage
Verticals

Map your residence and structure in the same cockpit.

About 90 questions across tax residence, entities, income, accounts and operations. Preview of matched regimes after the wizard. Full cockpit access — obligations, citations, confidence, review flags and PDF snapshot — after checkout.