Didn't want to hijack this thread, and many others where EE was touched, but then skipped...
https://www.offshorecorptalk.com/th...e-qualifying-income.41414/page-26#post-266273
But many people mention Estonia as a Holding, along with US LLC, where EE would be PE.
We want to try this structure, and UBO is a EE employee & director, but he lives in another EU country.
1. Is the best way to have US LLC under a person (not the EE holding) because of branch profit tax?
2. If under a person, isn't US a disregarded entity and dividends from there would be taxed on a personal level in EE? Even if sent to EE Holding. Or am I missing smth...
3. Aren't dividends from US LLC to EE Holding will be taxed in EE because no tax was paid in the US? I believe it's 7% minimum
https://www.offshorecorptalk.com/th...e-qualifying-income.41414/page-26#post-266273
But many people mention Estonia as a Holding, along with US LLC, where EE would be PE.
We want to try this structure, and UBO is a EE employee & director, but he lives in another EU country.
1. Is the best way to have US LLC under a person (not the EE holding) because of branch profit tax?
2. If under a person, isn't US a disregarded entity and dividends from there would be taxed on a personal level in EE? Even if sent to EE Holding. Or am I missing smth...
3. Aren't dividends from US LLC to EE Holding will be taxed in EE because no tax was paid in the US? I believe it's 7% minimum