Countries
Countries
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Pick up to 4 countries and see residency, company, banking, family, and risk notes line up. No prices, no marketing packages - just the working notes.

SpainEurope | MexicoNorth America | United KingdomEurope | Saint LuciaCentral America & Caribbean | |
|---|---|---|---|---|
| Overview | Spain offers structured EU residency routes for individuals, families, and entrepreneurs, including the digital nomad visa introduced under the Startups Law. Bordercase coordinates with licensed Spanish partners for filings. | Mexico is a large North American economy with established routes for residency, growing remote-worker visa programs, and a strong fit for founders building toward Latin American customers. Bordercase coordinates with licensed Mexican partners for filings. | The United Kingdom is a major global jurisdiction with structured (and competitive) residency, business, and skilled-worker routes. Bordercase coordinates with licensed UK partners for filings. | Saint Lucia is a Caribbean jurisdiction with a Citizenship by Investment programme launched in 2016. Bordercase coordinates with authorised local agents. |
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| Currency | EUR | MXN | GBP | XCD |
| Language | Spanish | Spanish | English | English |
| Time zone | UTC+1 | UTC-6 | UTC+0 | UTC-4 |
| EU member | Yes | No | No | No |
| Schengen | Yes | No | No | No |
| Residency | Spanish residency routes:
The Golden Visa has been phased out for real estate purchases. | Mexican residency routes:
Permanent residency unlocks indefinite stay with work authorisation. | UK residency routes:
| Saint Lucia routes:
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| Company setup | SL (Sociedad Limitada) is the standard private company. Registration involves NIE / NIF, notary, mercantile registry, and tax registration. Spanish tax residency triggers worldwide income reporting; the Beckham Law (special tax regime) may apply to eligible relocated workers. | SA de CV (Sociedad Anónima) and S de RL de CV are the standard private entity types. Formation involves a notary, RFC (tax registration), and IMSS where staff are involved. Mexican tax residency is triggered by primary home and centre of economic interests. | UK Limited companies are widely used internationally. HMRC corporation tax, VAT thresholds, and PSC (people with significant control) reporting apply. Substance expectations have tightened. | Domestic companies and IBCs are common in international structures. |
| Banking | Personal banking for residents is straightforward; corporate banking depends on activity and structure. Bordercase coordinates introductions for non-standard cases. | Resident personal banking is broadly accessible; corporate banking depends on activity and structure. Source of funds and ownership clarity are central. Bordercase coordinates introductions for cross-border cases. | Resident banking is mature but onboarding is slow for non-residents. Many international founders use UK EMIs (Revolut, Monzo Business, etc.) alongside high-street accounts. Bordercase coordinates introductions for cross-border cases. | Banking is selective. Bordercase coordinates banking introductions through current partners. |
| Family | Family reunification is supported on most residency routes after a qualifying period. Schools (public, private, international) are widely available; the public system is generally accessible to legal residents. | Family reunification is supported on most residency routes. International schools (English, German, French, Japanese) are widely available in major cities; bilingual public and private schools are common. | Family reunification is supported. Schools (state, private, international) are widely available; competition for top schools is real. | CBI can include qualifying dependents. |
| Risks | Risks Bordercase watches for in Spain:
| Risks Bordercase watches for in Mexico:
| Risks Bordercase watches for in the UK:
| Risks Bordercase watches for in Saint Lucia:
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| Documents | Typical Spanish residency documents:
| Typical Mexican documents:
| Typical UK documents:
| Typical CBI documents:
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Country pages stay the authoritative source. This view is a side-by-side; nothing here promises a particular outcome.