Glossary · SearchOffshore

What Is a Trust?

A trust is a legal arrangement under which one person (the settlor) transfers assets to another person or entity (the trustee), who holds and manages those assets for the benefit of defined individuals or purposes (the beneficiaries). The trustee has legal ownership of the assets but is bound by fiduciary duties to manage them in the interests of the beneficiaries.

Topic: Trusts & Private WealthKey jurisdictions: Jersey, Guernsey, Cayman, BVI, NevisLegal origin: English common law

How Trusts Work

The Three Parties to a Trust

Settlor

The person who creates the trust and transfers assets into it. The settlor sets out the terms of the trust in the trust deed, including who the beneficiaries are and how the trustee should exercise their powers. Once assets are transferred, the settlor relinquishes legal ownership — though may retain influence through a letter of wishes or in certain reserved-power trust structures.

Trustee

The person or entity that holds legal title to the trust assets and manages them in accordance with the trust deed and fiduciary duties. Professional trustees (licensed trust companies) are used in offshore jurisdictions. Trustees owe duties of loyalty, prudence, impartiality and disclosure to the beneficiaries. Browse Fiduciary Providers →

Beneficiaries

The individuals or classes of person who benefit from the trust — either through fixed entitlements (fixed trust) or subject to the trustee's discretion (discretionary trust). In a discretionary trust, beneficiaries have no fixed right to any particular distribution — protecting assets from their creditors.

Protector (Optional)

An additional party appointed to oversee the trustee — often a trusted advisor or family member. The protector may have powers to remove and replace the trustee, veto certain decisions or give consent to distributions. The protector role is common in offshore discretionary trusts.

Types of Trust

Common Offshore Trust Structures

Trust TypeHow It WorksPrimary UseKey Jurisdictions
Discretionary TrustTrustee has discretion over who receives distributions and when — no fixed entitlements for beneficiariesFamily wealth, succession, asset protectionJersey, Guernsey, Cayman, BVI
Fixed Interest TrustBeneficiaries have defined, fixed entitlements to income or capitalSimple succession structures, annuitiesAll common law jurisdictions
Purpose TrustEstablished for defined purposes rather than for identified beneficiaries — enforced by an appointed enforcerStructured finance, SPV orphaning, philanthropyCayman (STAR), BVI, Jersey
VISTA Trust (BVI)Discretionary trust holding BVI company shares — limits trustee interference in company managementFamily business successionBVI exclusively
Charitable TrustEstablished for defined charitable purposes; perpetual existence possiblePhilanthropy, family giving vehiclesJersey, Guernsey, Cayman, UK
Private Trust Company (PTC)A company acts as trustee of the family trust, with family/advisors on the PTC boardUHNW families wanting governance oversightJersey, Guernsey, Cayman, BVI

Why Offshore Trusts Are Used

Common Uses in Private Wealth Planning

  • Succession planning — passing wealth to the next generation outside of the probate process, on terms set by the settlor in the trust deed
  • Asset protection — discretionary trusts protect assets from future creditors of beneficiaries who have no fixed entitlement
  • Forced heirship protection — where a settlor's home country imposes forced heirship rules, an offshore trust in a jurisdiction that does not recognise forced heirship can provide protection (subject to applicable conflict of laws analysis)
  • Confidentiality — trusts are generally private documents; there is no public register of trust documents in most offshore jurisdictions
  • Investment management — the trustee can hold and manage a diversified portfolio of assets across multiple asset classes and jurisdictions
  • Philanthropy — charitable trusts provide a vehicle for structured giving, potentially with perpetual existence

Offshore Jurisdictions

Leading Trust Jurisdictions Compared

JurisdictionTrust LegislationKey StrengthsTypical Client Base
JerseyTrusts (Jersey) Law 1984 (as amended)Deep trustee market, strong asset protection, VISTA equivalent, foundations availableEuropean, Middle Eastern, African UHNW
GuernseyTrusts (Guernsey) Law 2007Strong trustee ecosystem, PE-linked structures, foundations availableEuropean institutional, Channel Islands-connected
Cayman IslandsTrusts Act (as revised); STAR Trusts ActSTAR purpose trusts, strong asset protection, institutional depthInstitutional, US-connected, global UHNW
BVITrustee Act; VISTA (Virgin Islands Special Trusts Act 2003)VISTA trust regime — unique for holding company shares long-termFamily business owners, entrepreneurial families
NevisNevis International Exempt Trust OrdinanceVery strong anti-creditor provisions; self-settled trustsAsset protection-focused clients

Misconceptions

Common Misunderstandings About Trusts

✗ Myth

The settlor retains control of trust assets after settling the trust.

✓ Fact

Effective trust arrangements require a genuine transfer of control to the trustee. Settlors who retain excessive control risk the trust being treated as a sham or the assets being included in their estate.

✗ Myth

Offshore trusts are secret from tax authorities.

✓ Fact

Under CRS, professional trustees report information on settlors, trustees, protectors and beneficiaries to local tax authorities, which exchange it with relevant foreign authorities.

✗ Myth

Trusts are only for very wealthy individuals.

✓ Fact

While offshore trusts typically require minimum assets to justify professional trustee costs, trusts are used across a wide range of wealth levels for succession, estate and asset protection planning.

FAQ

Trusts — Common Questions

In most common law jurisdictions, a trust does not have separate legal personality — the trustee holds the assets personally in a fiduciary capacity. This differs from a company or a foundation, both of which are separate legal entities that can own assets in their own name. Some jurisdictions — including the Cayman Islands — have introduced purpose trust legislation that provides some features approximating separate legal personality for specific uses in structured finance, but generally a trust is a relationship rather than an entity.
A trust is a fiduciary arrangement where a trustee holds assets for beneficiaries. A foundation is a separate legal entity established for defined purposes or beneficiaries — more like a company without shareholders. Foundations have their own legal personality, can own assets in their name and have a council (board) that manages them. Foundations are preferred by clients from civil law backgrounds (continental Europe, Latin America, Middle East) where trusts are less familiar as a concept. Both can achieve similar succession and wealth protection outcomes. See What Is a Foundation →
A letter of wishes (sometimes called a memorandum of wishes) is a non-binding document prepared by the settlor that guides the trustee on how to exercise their discretion — which beneficiaries to favour, how to manage distributions, how to deal with the family business and so on. Unlike the trust deed itself, the letter of wishes is not legally binding on the trustee — the trustee must exercise independent judgement — but in practice trustees give it significant weight. The letter of wishes is updated periodically by the settlor as family circumstances change and is generally kept confidential.

Find Offshore Trust Professionals

Browse trust companies and fiduciary providers across Jersey, Guernsey, Cayman, BVI and all major trust jurisdictions.

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