Beckham Law in Spain:
Specialized Tax Advisory

Reduce your tax burden from 47% to 24% under the Inbound Expatriate Regime.
Executive management and asset protection for high-performance profiles.

Request Eligibility Analysis

Maximize Your Net Yield

Compare the actual impact of the Beckham Law versus the Standard Tax Regime in Spain.

Standard Regime
Up to 47%
  • Progressive Income Tax rates
  • Worldwide asset taxation
  • Mandatory foreign asset disclosure
Beckham Law
24% Flat Rate
  • Fixed rate up to €600,000
  • Exemption on non-Spanish income
  • No global asset reporting obligations
SGH Option

Tax Engineering: 2026 Beckham Law

We transform the complexities of the Startup Act into a competitive advantage for your wealth.

Inbound Tax Status

We optimize access to the regime for digital nomads and qualified professionals, leveraging the reduced 5-year non-residency requirement.

Global Asset Exemption

We shield your international investments. Under this regime, you are exempt from Form 720 filings and from taxation on non-Spanish sourced income.

24% Flat Rate

We manage your Form 149 application to secure a fixed 24% tax rate on income up to €600,000, maximizing your annual net liquidity.

The 6-Month Window

The Inbound Expatriate Regime is extremely strict regarding deadlines. You have exactly six calendar months from your Social Security registration or commencement of activity to apply for the regime.

Exceeding this limit results in the irreversible loss of tax savings that can exceed €200,000 over the 6-year period. At Spain Global Hub, we activate a high-priority protocol for time-critical cases, ensuring your documentation is filed correctly and on time with the Tax Agency.

Note: The 2026 Startup Act has expanded eligibility criteria, but application deadlines remain unchanged.

Excellence in Tax Jurisprudence

Within the Spain Global Hub ecosystem, we understand that the application of the Beckham Law (Special Regime for Inbound Expatriates) is not a standard administrative procedure, but a critical piece of your wealth architecture. Under the 2026 Startup Act regulations, the eligibility requirements have become more sophisticated, integrating digital nomads, entrepreneurs, and highly qualified professionals.

Our methodology combines technical rigor with a 360º vision of your global interests. We collaborate with elite tax specialists to ensure the transition generates no friction with your foreign assets, optimizing Personal Income Tax (IRPF) and shielding your position against Wealth Tax.

Strategic FAQs

What requirements must I meet under the 2026 Startup Act?

To qualify for the regime, the applicant must not have been a tax resident in Spain during the last 5 years. Additionally, the relocation must be motivated by an employment contract, the acquisition of a director position in a company, or the performance of an economic activity classified as entrepreneurial or highly qualified.

How do Form 149 and Form 151 affect my tax return?

Form 149 is the initial application to opt into the regime. Once accepted, the taxpayer stops filing Form 100 (Ordinary Income Tax) and instead files Form 151 annually. This model allows for taxation at a flat rate of 24% for the first €600,000 of the tax base.

Do I need to declare my assets outside of Spain (Form 720)?

One of the greatest advantages of the Beckham Law is privacy. Inpatriates under this regime are exempt from filing Form 720 (Declaration of assets abroad), which drastically reduces the administrative burden and the risk of penalties.

Your Roadmap to Tax Success

01

Eligibility Analysis

Strategic session to validate your profile under the 2026 Startup Act and project your actual savings.

02

Executive Management

Collection and submission of Form 149 to the AEAT by our legal experts.

03

Certification & Oversight

Obtaining the positive resolution and providing continuous support throughout the 6 fiscal years.

Begin Your Wealth Shielding

Complete the form to receive a personalized proposal. Our senior team will contact you in less than 24 hours.

Session subject to technical schedule availability.