But only if not taxed as a corporation in the US, I guess?
Correct, only disregarded entities.
Other forms of LLC (C/S) wont be seen as transparent.
But only if not taxed as a corporation in the US, I guess?
US LLC are seen as tax transparent by Hacienda, and as a result you would have to pay IRPF on whatever the LLC makes.
Not if he makes the Spanish S.L. the only member of the LLC as i was suggesting.
so 'impuesto de las sociedades' applies
Not if he makes the Spanish S.L. the only member of the LLC as i was suggesting.
That's obvious and my suggestion comes from the fact that if he manages the LLC while being an autonomo he is evading Spanish CIT on the permanent establishment he created in Spain.
He needs to close his autonomo position, form a S.L. and make the S.L. the single member of the LLC.
I'm talking about companies like UpWork or similar that send invoices in their name so that he will invoice UpWork.com instead of his US LLC. (UpWork doesn't send invoices in their name, it was just an example)
Theres no permanent establishment because theres no corporation, as Hacienda also sees the LLC as transparent.
That can trigger branch profit tax in the US.
However it remains to be seen if being an autonomo is the most advantageous setup tax wise.
But can you change the taxation from c-corp to disregarded entity?If a disregarded LLC is controlled and an autonomo, no CIT applies.
But can you change the taxation from c-corp to disregarded entity?
the whole Spanish tax system is not the most advantageous setup tax wise lol
These services usually have crazy fees? I think UpWork takes 10% cut.I'm talking about companies like UpWork or similar that send invoices in their name so that he will invoice UpWork.com instead of his US LLC. (UpWork doesn't send invoices in their name, it was just an example)
I think UpWork takes 10% cut.
But can you change the taxation from c-corp to disregarded entity?
I guess the C-corp will be then seen as opaque entity so he will have to pay Spanish CIT and receive a tax credit for taxes paid in US.
I'm talking about the fact that after some income threshold it will be more advantageous to not be taxed on income but pay CIT at the company level.
Spain has some special anti-Gibraltar taxes that would be worth investigating first.If i were in you i would elect the LLC to be treated as disregard entity.
I would form a Spanish company on which i would pay spanish CIT on all LLC income.
In this way all your clients will deal with the same entity their are accostumed to with all the privacy benefits you listed and you'll have to deal "only" with Hacienda.
In addition: depending on where you'll domicile your Spanish S.L. you can pay 12.5% CIT (Ceuta/Melilla) or 4% CIT (Canarias with at lest 3 people employed).
Have you thought about moving to Gibraltar instead of Spain?
Depends on a factors.Hi all -
I am a European resident, let say, in Spain. I own a USA LLC incorporated in Delaware and I elected that it would be taxed as a C-corp.
I work with companies all over the world. When these companies are based outside Europe, then no problem.
Now, let say, one of my client is a company in Europe (Italy, Spain or France - does not matter I guess) As I am a fiscal resident in Spain, should my USA LLC charge VAT to my European client or no ?
thank you !
Depends on a factors.
1. Where your company in USA are registered?
2. Do you have Clients in USA?
3. In which countries you have clients and what is annual revenue you are receiving from each country?
If you have already chosen for the LLC to be taxed as a C-Corp it will be regarded as a US tax payer and LLC will pay CIT on the profit and then you can pay out any taxed profit to yourself and again tax on that personally.
If the LLC is setup as passthrough as a single foreign member and the actual (100%) work/service is not done within USA borders then US IRS will not care to tax the LLC member or the LLC entity.Spain would like to have a word there. Spain won't care much about what the IRS thinks. They will tax the company in Spain as a Spanish company. Fine for them if he pays tax in the US as well. Spain won't give a cent back if he lives in Spain. Then he can argue with the IRS and ask them to give a refund for taxes paid in Spain.