artificialintelligence

Online Academy

VR/AR survey for real estate agents

Future impact for real estate agents: Joint survey by inner.i. Virtual Awareness and Tempulse Global Consultancy: ? The future for real estate agents has already begun. Digital exposés or real estate portals: there are many ways to present your real estate. But hardly anything appeals to the senses and thus the emotions of your prospective buyers as much as the innovative technologies of augmented and virtual reality. Because this ...

VR/AR survey for real estate agents Read More "

VirtualReality Empowerment Program

Virtual Reality Empowerment Program VREP

VirtualReality Empowerment Program REMEMBER THE DATE ! from September 2021 VirtualReality VREP is a training program to master relevant tools for creating a marketable training and coaching offer in VirtualReality (VR) How we use VR to train trainers and coaches and professionals and managers? VirtualReality The learning outcomes are on average 40% ...

Virtual Reality Empowerment Program VREP Read More "

Profit distributions

Advice on the classification of active income...

How is active income classified by the tax authorities in accordance with the German Foreign Tax Act? Strategically, the question arises as to how active income is classified by the tax authorities in accordance with the German Foreign Tax Act. If you operate a foreign company in a low-tax country, you should, as already explained, generate "active income" in order to avoid add-back taxation in the country of residence of the shareholders of this company. The profits ...

Advice on structuring Classification of active income... Read More "

Letter and Calculator

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 pointed out that arise in the middle of ...

Advice on structuring: Strategic profit distributions... Read More "

Double taxation

Double taxation NON-DBA clarification of facts...

How can I strategically deal with profit distributions from my foreign company? 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 ...

Double taxation NON-DTA clarification of facts... Read More "

Consulting company

Double taxation - clarification of facts

How can I strategically deal with profit distributions from my foreign company? A double taxation treaty clarification: 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 taxed at the income tax rate of the shareholders, who are natural persons, in the shareholder's country of residence. Strategically, the ...

Double taxation - clarification of facts Read More "

Profit distributions

Profit distribution strategy...

How can I strategically deal with profit distributions from my foreign company? 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 ...

Profit distribution strategy... Read More "

Lecture

Strategic approaches if no DTA exists:

Double taxation agreements Double taxation agreements. Strategic approaches if there is no DTA. Just talk to us Double tax treaty What is a strategy if there is no double tax treaty (DTT) between the country of residence and the country of domicile of your foreign company? 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 taxed in the ...

Strategic approaches when there is no DBA: Read More "

consulting-company-image-cover-business-addresses-Shanghai

Rent a top business address: The Digital Rocket Shanghai

Rent a top business address in Shanghai? Even more than just your 5G prospects in Shanghai! Why does the first 5G industrial park in the Jinqiao Economic and Technological Development Zone in Shanghai serve as a rocket for digitalization projects? 1.86 billion US dollars have already been invested by 42 companies, such as Huawai Technologies and SAIC Motor Corporation ...

Rent a top business address: The Digital Rocket Shanghai Read More "

consulting-company-image-cover-business-addresses-world-map

Consultation: Countries without external tax laws

CFC Rules / Controlled Foreign Corporation in consulting practice: In today's issue, we look at a tax law nightmare. Anyone living in a country whose tax legislation contains "Controlled Foreign Corporation Rules" is severely restricted in the management of a foreign company. A foreign company that is classified under the CFC rules is managed in the shareholder's country of residence ...

Advice: Countries without external tax laws Read More "