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— Est. 2020 · MAD · DUS · CCS · MIA
Estrategeos — cross · border · tax advisory

Taxation across borders,
resolved with method.

Boutique international tax advisory. We work with those who don't fit in a single jurisdiction: Beckham-regime expats, entrepreneurs with multi-country structures, investors with cross-border income and transferred professionals.

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— 01 / Who we advise

Four profiles, one shared complexity:
more than one jurisdiction on the table.

— 01
Inpatriates under the Beckham regime
Workers relocated to Spain filing under IRNR pursuant to art. 93 LIRPF. Form 151, foreign-source income planning and exit from the regime.
— 02
Entrepreneurs with multi-jurisdiction structures
Holding companies, ETVEs, groups with presence across Germany / LATAM / Spain. Structure design, double tax treaties, transfer pricing.
— 03
Professionals and freelancers with cross-border income
International freelancers, digital nomads, LLC partners, professionals invoicing to or from several countries. IRPF, self-employed filings, intra-EU VAT.
— 04
Investors and international wealth
Global investment portfolios, foreign dividends, crypto, real estate outside Spain. Forms 720 / 721 and cross-border estate planning.
— 02 / Services

Six technical areas,
one accountable team.

— 01
Beckham Regime
Application to the special regime under art. 93 LIRPF. Eligibility analysis, Form 149, annual Form 151, six-year follow-up and exit strategy.
Ref. Art. 93 LIRPF · RD 439/2007
— 02
Cross-border structuring
Design and maintenance of holdings, ETVEs and multi-country structures. Double tax treaties, EU directives and anti-abuse clauses.
Ref. DTT · Parent-subsidiary directive
— 03
Compliance & informational filings
Forms 720 and 721 (foreign assets and crypto), CRS / FATCA, DAC7. Annual tax calendar with deadlines, reminders and continuous follow-up.
Ref. Forms 720 / 721 · DAC7
— 04
Complex IRPF & IRNR
Tax Return 2025 under Form 100 or 151. Two payers, stock options, international income, capital gains, investment deductions. Non-residents with real estate or activities in Spain.
Ref. Forms 100 / 151 · IRNR
— 05
Accounting & corporate tax
Corporate Income Tax (Form 200), annual accounts, abbreviated notes, registry obligations. Accounting for SMEs and professional firms.
Ref. Form 200 · PGC 1515/2007
— 06
AEAT tax litigation
Submissions, appeals for reconsideration, claims before TEAR / TEAC. Defence in verification, audit and penalty proceedings.
Ref. LGT · TEAR · TEAC
— 03 / Method

Four steps,
with no last-minute surprises.

01
Evaluation
We capture your situation, jurisdictions involved and deadlines. We flag contingencies before we talk fees.
02
Fixed proposal
Written scope with deliverables, owners and fixed price. No open hours, no opaque escalations.
03
Execution
One accountable team per matter. Client portal with status, documents and direct messaging with the advisor.
04
Follow-up
Annual tax calendar, deadline alerts, proactive review of regulatory changes that affect you.
— 04 / Who we are

A boutique firm,
with big-firm method.

Estrategeos has operated from Madrid since 2020, with a DACH presence in Düsseldorf, a correspondent firm in Caracas and a US notarial network in Miami. The founding team has practised international tax since 2009 — Beckham regime, AEAT litigation, cross-border structuring Spain–Germany–USA and complex personal income tax with a multi-jurisdictional component.

— Tax direction led by an economist registered with the REAF

Official Association of Economists of Madrid · Register of Economist Tax Advisors (REAF)

Professional indemnity insurance in force through the Official Association of Economists of Madrid

2020
Year of incorporation · Madrid
2009
Origin of the team's international tax practice
4
Operating centres · MAD · DUS · CCS · MIA
100 %
Matters led by a directly accountable partner
— 05 / Testimonials

Every client arrived through a direct referral
from another client.

Six real profiles, identified by initials. No proper names, no logos, no promised savings figures — only the story of how each matter was resolved.

I'm very happy working with Estrategeos. They explain everything so easily. Two other accountants before them made things so much more complicated.

T. M.
— Australian entrepreneur · US LLC · Barcelona
Self-employed + international structuring

They walked me through the entire process step by step, reviewed my employment contract before signing, and coordinated directly with my employer for Social Security. Always responded within 24 hours.

A. V.
— US Executive · Beckham Law · Madrid
Beckham Law + contract review

As a founder with 66 % ownership of a US C-Corp, I thought Beckham was impossible for me. Estrategeos found the right structure and is executing the entire process.

T. J.
— Founder/CEO · Delaware C-Corp · Madrid
Beckham + corporate structuring

I was transferred from Panama and knew nothing about the Spanish tax system. Estrategeos guided me from day one, everything clear and straightforward. The price was very fair.

A. N.
— Transferred professional · Panama → Madrid
Beckham Law · inpatriate regime

I'm a digital nomad from Canada. Estrategeos regularized my tax situation, managed the digital certificate and now handles all my quarterly compliance. I cancelled my previous accounting platform.

S. A.
— Digital nomad · Canada → Madrid
Tax compliance + ongoing advisory

I arrived in Madrid on a Non-Lucrative Visa and thought Beckham was out of reach because my LLC was in Ohio. Estrategeos structured the LLC as a foreign employer registered in Spain and handled the full process — Form 149, digital certificate, bilingual contract, AEAT deferral. Every step explained clearly, in both languages.

B. S.
— US entrepreneur · Ohio LLC · Madrid
Beckham + LLC as foreign employer

Real testimonials, anonymized with client authorization. Initials, sector and jurisdiction published in compliance with art. 95 LGT (Spanish tax secrecy) and GDPR / LOPDGDD. Results described are specific to each matter and do not guarantee the same outcome in different cases.

— Estrategeos / etymology
"The strategist does not avoid the border —
they cross it with method."
— From the Greek stratēgós + geos · taxation and territory
— 06 / Offices

We operate where our clients
need us to be.

— Office
MAD
Madrid
Main office
Spain · Southern Europe
Est. 2020
—:—
— DACH presence
DUS
Düsseldorf
Partner tax-resident in Germany
Central Europe · DACH
Dortmund–Düsseldorf
—:—
— Correspondent firm
CCS
Caracas
Associated firm
Tax specialised · LATAM
Venezuela
—:—
— US notarial network
MIA
Miami
Transatlantic execution
US notaries · Florida
LATAM–US gateway
—:—
— 07 / Frequently asked questions

Straight answers
before you engage us.

01How much does it cost to apply for the Beckham regime?

The fee depends on the complexity of the case (worldwide assets, stock options, prior residency). We quote a fixed fee after the email assessment and the 15-min call — no hourly surprises. Both the email assessment and the 15-min call are at no cost.

02Do you work with holders of US LLCs?

Yes. We analyze the US entity's tax transparency, its treatment under Spanish law, and its interaction with the Beckham regime. We coordinate with the client's US CPA when there is one.

03Do you advise non-resident taxpayers in Spain?

IRNR (rentals, dividends, capital gains), Model 210, withholdings on Spanish-source income, and application of double-tax treaties. Also expat returns for Spaniards abroad.

04What happens if I lose the Beckham regime?

We handle the exit: IRPF return for the transition year, reclassification of assets, reassessment of prior years if applicable, and defense before AEAT if a procedure is open.

05How often does the advisor communicate with the client?

You have direct access to the lead partner — no call center, no anonymous ticketing. Response within 24 business hours. For active cases, scheduled review every quarter.

06Do you work in English and German, or only in Spanish?

We work natively in Spanish, English and German. Documentation, procedures before AEAT and communication with the Finanzamt are handled in the appropriate language.
— 08 / Next step

Tell us your case.
We reply with a plan, not a brochure.

Email assessment + 15-min call if it fits · response within 48 business hours · MAD · DUS · CCS · MIA