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Advice on structuring: Strategic profit distributions...

In one of our previous articles, we already presented our "MORE-STUFF PLAN" for a possible relocation of the center of life abroad. The attentive and well-prepared online marketer, consultant and founder was provided with a comprehensive checklist.

These serve as a tool for clarifying complex questions in the context of international tax law. Furthermore, questions for clarification were identified that are at the heart of life.

We have already pointed out important aspects to the prudent and well-advised online marketer, consultant or founder who is considering moving the center of his or her life abroad permanently.

A foreign company that is classified under the CFC rules leads to add-back taxation in the country of residence of the shareholder of this company. As already explained, the profits of the foreign company are subject to income tax in the shareholder's country of residence for shareholders who are natural persons.

Strategically, the question arises as to how I can deal with the withdrawal or receipt of profits from my foreign company?

Is it an EU company or not? Is there a double taxation agreement with your country of residence or not?

Differences already explained:

1. EU facts ✔️

2. DBA facts ✔️

3. non-DBA facts ✔️

An abuse of structuring can be ruled out. This is interpreted by the tax authorities as tax evasion.

? We expressly distance ourselves from establishing a foreign company in Mauritius, the Seychelles, Belize, the Cook Islands, Grenada or the British Virgin Islands.

For us, the establishment of a foreign company has purely economic motives. We have already made it clear that the focus for a foreign company is on "living and working" by "building up substance".

We provide support and advice on setting up a commercially established permanent establishment. Our authorized legal service providers offer consulting services to generate active income. Recruiting and retaining employees in the foreign company and generating active income in the foreign company is a target-oriented New Work strategy.

If a foreign EU company is founded, we will inform every entrepreneur of the requirements for "building up substance" as part of the structuring consultation without being asked.

With a view to the moderate expense of use of our business addresses on 5 continentswe address entrepreneurs on their way to global entrepreneurship. We create clarity through positioning.

How to set up a successful international company and do everything right from a multicultural perspective?

? How my team and I support your journey as a global entrepreneur?

➕ Location consulting

- Recording and analysis of the current situation

- Positioning your company

- Optimization of the company website

NEW-WORK workshops and training courses

☑ Would you like to work with me and my team on your strategy for successful internationalization or use us for your company? Please contact us here: Contact

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