@ColeMacro@Strive Please make it proper ROC in Germany as well. You just need to fill out some forms. First one to make this will get all the German customers, I can promise you that.
@Mitos_und_mehr Aber ein Quotient von einem Vitamin welches eine Halbwertszeit von ein paar Stunden hat ist für mich nicht erklärbar, das schwankt ja wahrscheinlich total, wie kann man daraus Schlüsse ziehen?
I disagree. This would have to be some kind of new loophole or similar but I don't think so. If the management is based in Portugal and the company has no real substance in the US, the company would be treated as a Portuguese tax subject and taxed like a Portuguese Lda. (the local equivalent of a C-corp).
@0xPhilH@justin_butlion@miguelgbandeira Also another GAAR rule for Portugal: A structure with no substance abroad and no economic rationale beyond tax savings gets disregarded. (Art. 38 LGT)
@0xPhilH@justin_butlion@miguelgbandeira This is only the CFC rule. One of a few rules. Only one has to be valid for the company to be taxed in EU. For Portugal: sede de direção efetiva, Art. 2 CIRC): A foreign company managed from Portugal becomes Portuguese tax resident.
Of course. There might be better ways to hide that. But Indie Hacker, Sole Founder, etc. is by definition a management setup with only one founder/operator, and in this case any kind of corporate business decision would be one where this founder makes the call. And if this founder is in Portugal, the company has to pay its taxes in Portugal by law.
@damiankii@miguelgbandeira@gigachad_llc Yes, you would likely have to hire a (fake) CEO in the country of the company or similar, but it's still illegal of course and definitely tax evasion