# Greece and Cyprus: Digital Nomad Visas > 2026 guide: Greece is consulate-only (Law 5275/2026), Cyprus runs a 1,000 quota with in-country filing. €3,500 net threshold, the 5C relief, non-dom and Cyprus's tax reform. Author: Алёна Дунаева — юрист, Family Office (https://wiki.private.law/authors/dunaeva) Last modified: 2026-07-10T11:31:00.000Z Canonical: https://wiki.private.law/en/greece-cyprus-nomad Topics: migration Jurisdictions: greece, cyprus Semantic tags: digital-nomad-visa, residence-permit --- ## Where These Visas Came From Digital nomad visas arrived in Europe on the 2020–2022 wave, when remote work went mainstream and the EU's south saw arrivals with foreign salaries as demand for housing, services and schools. Greece launched its scheme in 2021; Cyprus the same year, as a pilot capped at a hundred permits. The audience is the same: specialists and entrepreneurs who earn outside the country and spend inside it. The pairing is not accidental: EU membership, mild climate, everyday English and living costs below Western Europe. The entry ticket is nearly identical — verified income of about €3,500 a month. But in 2026 the two countries diverged procedurally: Greece tightened the entrance, Cyprus widened it. And the tax endgame was always different; that is what decides which country suits whom for a long stay. ## Greece: Legal Basis and Status The Greek channel appeared in art. 11 of Law 4825/2021 and since 1 January 2024 lives as **art. 68 of the Immigration Code (L. 5038/2023)**, with explanatory Circular 6/2024. It is a national type-D visa ("category Z" — specific purpose), deliberately separated from work and investment categories. The income requirement is **€3,500 a month net** of taxes and contributions (+20% for a spouse, +15% per child: a family of three needs about €4,830). The income must be active — salary, services, projects performed remotely; rent and dividends do not count. The status's foundational rule is zero economic activity connected to Greece: no Greek employer, no Greek clients. A breach means refusal, non-renewal or withdrawal. > ⚙️ The headline change of 2026 is **Law 5275/2026** (February 2026): filing through Greek consulates abroad only. The previously convenient route — enter on Schengen as a tourist and apply for the two-year residence permit without leaving — has been abolished entirely. Older overviews describing "in-country conversion" no longer match the law. How it works now. The consulate accepts the application in person, by post or by e-mail and is formally required to respond within ten days (the one-stop procedure). The D visa is issued for up to 12 months. While in Greece on that visa, and before it expires, you apply for the **two-year residence permit** (type I.8) at the one-stop services of the Decentralised Administrations; renewals run in two-year increments, the grant is discretionary ("may be granted"), and all art. 68 restrictions continue to apply. Fee reference points: about €75 for the visa (plus an administrative fee of ~€150), €1,000 for the residence permit plus €16 for the e-card and €150 per family member — verify the figures on your filing date. Family joins in dependent status with no work rights. ## Greece: Taxes and the 5C Relief The visa and taxes are separate mechanics. Up to 183 days a year, foreign income stays outside Greek tax; beyond that, the remote worker becomes a tax resident facing a progressive scale up to **44%** (above €40,000). Greece's famous relief is the **50% reduction under article 5C** (L. 4758/2020): half of employment or business income is exempt from income tax and the solidarity levy for seven years. The conditions: non-residence for five of the last six years, arrival from an EU/EEA or cooperating tax jurisdiction, a two-year stay commitment — and, critically, **Greek employment**: a job with a Greek company or the Greek permanent establishment of a foreign one, or self-employment registered in Greece. The "new job position" requirement was abolished on 28 July 2025; filing is now digital via myAADE. > 💡 Here sits a structural incompatibility that marketing overviews skip: the nomad-status holder **cannot** have a Greek employer or clients — while the 5C relief requires exactly that Greek employment or activity. A pure nomad working for a foreign employer does not qualify for 5C. Those who want the relief change category: a Greek employer of record, a local contract, or their own Greek activity instead of nomad status. For other profiles Greece keeps adjacent regimes outside the nomad visa: the [non-dom under article 5A](https://wiki.private.law/en/greece-non-dom) — a fixed €100,000 a year on all foreign income against an [investment of €500,000](https://wiki.private.law/en/greece-golden-visa), for up to 15 years; and article 5B for foreign pensioners — a flat 7% on foreign income. ## Cyprus: the Scheme and the Quota The Cypriot scheme is not a statute but a Council of Ministers decision of 15 October 2021, and it lives by quotas: 100 → 500 (March 2022) → quota exhausted, intake frozen for about a year and a half → resumed on 26 March 2025 with 500 more → since 30 October 2025 the ceiling is **1,000 permits a year**, available immediately. Since 2021, 518 permits plus 389 dependants have been issued; the ministry has hinted the quota could be scrapped if demand exceeds ~90 applications a month — no confirmation as of July 2026. The requirements: remote work exclusively for foreign employers or clients (employed or self-employed), income of **€3,500 a month net** of contributions and taxes (+20% for a spouse, +15% per child), accommodation (title or lease), insurance covering inpatient and outpatient care, a clean criminal record, medical tests (HIV, syphilis, hepatitis B/C, a TB chest X-ray), a letter of intent, six months of bank statements and the employer's confirmation that no services go to Cyprus-registered entities. Form MVIS8. Procedurally it is Greece's operational opposite: **in-country filing** — you enter as a tourist and file with the Migration Department within three months of arrival; switching from another status is also allowed. Processing takes 5–7 weeks, and the stay is lawful while the file is pending. The fees are modest: €70 for the application + €70 for the Aliens' Registry (one-time), €70 per family member. The permit runs one year with a renewal for two more (three in total); family members receive status of the same duration **with no economic activity allowed**. ## Cyprus: 2026 Taxes — the Reform and Non-Dom Since 1 January 2026 Cyprus runs a major tax reform (passed 22 December 2025). The new bands: the tax-free minimum rose from €19,500 to **€22,000**, then 20% to €32k, 25% to €42k, 30% to €72k and **35% above €72,000**. Tax residency is reached under the 183-day rule. The famous [60-day rule](https://wiki.private.law/en/cyprus-non-dom) requires Cypriot employment, business or a directorship plus a permanent home — a pure nomad working for a foreign employer usually fails the business limb and relies on 183 days. The real magnet is the **non-dom regime**: 17 years without SDC on dividends and interest; in practice foreign dividends carry only the GHS health contribution of 2.65%, capped (the income base caps at €180,000 — a maximum of ≈€4,770 a year). The 2026 reform added an extension option: +5 years for a one-off €250,000, electable twice (up to +10 years) — and cut SDC for domiciled residents from 17% to 5%, narrowing the gap slightly. For those taking up local employment there is article 8(23A): a 50% exemption of employment income above €55,000 a year, for up to 17 years, after 15 years of prior non-residence — practice extends it to remote employees of foreign companies physically working from Cyprus ("employment exercised in Cyprus"), though that is a practice position rather than express statutory text. > 💡 The nomad visa and the Cypriot tax profile run on separate tracks: the visa bars working for Cypriot companies, so the nomad relies on the "183 days + non-dom" pairing for passive income. The typical 2026 pattern: one to three years on nomad status as a bridge, then a permanent base via a [Cyprus company](https://wiki.private.law/en/company-cyprus) or local employment with 8(23A). ## After 183 Days: the Common Denominator The threshold in both countries is the same — 183 days. Below it, foreign income stays outside local tax; above it, the local scales switch on: in Greece up to 44% (half that with 5C — but not on nomad status), in Cyprus the reformed 2026 bands with non-dom mechanics for dividends and interest. Residency changes more than the rate: both states run [CRS](https://wiki.private.law/en/crs-overview) automatic exchange, so the country you left sees the accounts and distributions. Social contributions for those working for a foreign employer usually stay in the employer's system — verified case by case through A1 certificates and bilateral rules — and the right to tax employment income is allocated by the [double-tax treaty](https://wiki.private.law/en/tax-residency-basics). The visa and the tax plan are calculated together. ## Typical Mistakes 1. **Planning a Greek "in-country" filing** from old guides — since February 2026 it is consulate-only; a ticket to Athens does not replace an appointment at the consulate of your country of residence. 2. **Counting on 5C while on nomad status.** The relief requires Greek employment or activity — precisely what nomad status forbids. 3. **Showing passive income** — both countries require active remote earnings; rent and dividends do not count. 4. **Forgetting "net".** The €3,500 thresholds are after taxes and contributions; gross figures in statements trigger recalculation and refusal. 5. **In Cyprus — delaying the filing**: three months from arrival, and the quota, though doubled to 1,000, is finite; the 2023–2025 history (an eighteen-month freeze) can repeat. 6. **Treating the 60-day rule as automatic.** Without Cypriot employment or business it does not work — a pure nomad is left with 183 days. 7. **Ignoring the medical tests** in the Cypriot package (HIV, hepatitis, TB) — their absence stalls the file for weeks. 8. **Not pricing the exit from the relief horizon**: Greece's seven 5C years and Cyprus's seventeen non-dom years do end — build the "what after" scenario from day one. ## What to Choose > 🔗 **Related** > [Digital nomad visas 2026](https://wiki.private.law/en/digital-nomad-visas) · [Cyprus non-dom](https://wiki.private.law/en/cyprus-non-dom) · [Cyprus holding company](https://wiki.private.law/en/company-cyprus) · [Greece non-dom 5A](https://wiki.private.law/en/greece-non-dom) · [Greece Golden Visa](https://wiki.private.law/en/greece-golden-visa) · [Portugal D8](https://wiki.private.law/en/portugal-d8) · [Italy nomad visa](https://wiki.private.law/en/italy-nomad-visa) · [Croatia](https://wiki.private.law/en/croatia-nomad-visa) · [Spain: tax regime](https://wiki.private.law/en/spain-tax-residency) · [Five Flags theory](https://wiki.private.law/en/five-flags) Greece is chosen for the country itself and the prospect of putting down roots — but the labour-income relief is reached not through nomad status, rather by switching category to Greek employment; for capital, the 5A non-dom does the work. Cyprus is chosen for operational simplicity (in-country filing, 5–7 weeks, €140 in fees) and for its passive-income tax machine: 183 days plus non-dom take dividends and interest out of SDC for 17 years with an extension option. In the [Five Flags theory](https://wiki.private.law/en/five-flags) both visas close Flag 5, but the Cypriot configuration more often reaches Flag 2 — tax residency — as well. --- ## Factual claims - Digital nomad visas arrived in Europe on the 2020–2022 wave, when remote work went mainstream and the EU's south saw arrivals with foreign salaries as demand for housing, services and schools. - Greece's famous relief is the 50% reduction under article 5C (L. - Since 1 January 2026 Cyprus runs a major tax reform (passed 22 December 2025). - Tax residency is reached under the 183-day rule. - The real magnet is the non-dom regime: 17 years without SDC on dividends and interest; in practice foreign dividends carry only the GHS health contribution of 2.65%, capped (the income base caps at €180,000 — a maximum of ≈€4,770 a year). - The threshold in both countries is the same — 183 days. - Greece is chosen for the country itself and the prospect of putting down roots — but the labour-income relief is reached not through nomad status, rather by switching category to Greek employment; for capital, the 5A non-dom does the work.