Estonia e-residency + Portugal NHR

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Great. And that is a single-member LLC and they spend most of the time away from︀ PT as you were describing?
 
Yes, that's what i know.‍ They were spending most of their time between Brasil and Asia.
 
Did the PT tax authority came asking questions and‍ was fine with the arrangement because they spent most of the time abroad or it's⁠ just that nobody asked so far?
 
Nobody aked questions so it could‌ be either good or bad news.
 
What kind or taxable net income are we talking about for these companies,‌ ballpark? $500K? More?
 
I really can't tell you, i know they were dealing with crypto stuff but don't‌ know much more.
 
are you sure about⁣ that?
US LLCs don't pay divideds, they are transparent... So technically it doesn't matter the⁢ 0% NHR divided tax rate
 
I don't understand what's your point.‍

Under NHR foreign income source is tax exempt so it doesn't matter if you receive⁠ dividends, royalties or something else if the income is passive.

The point here is to⁤ not trigger permanent establishment in Portugal so if you manage your US LLC from outside⁣ Portugal it can't be considered local sourced income.
 
Do you mind sharing a contact of the accounting service you︀ use in Portugal, I actually heard similar case from other entrepreneurs and thought it might︁ just worth checking
 
Xolo Go does‌ not give you a company. It's about the same as billing through PayPal. Their fees‍ are ridiculous.

I think there's a misunderstanding here.
Domestic rules always come first. DTT's cannot create new tax⁣ liabilities, they only override domestic law.
And in case of a single-member US LCC (disregarded⁢ entity), the DTT can't be used at all.

Similarly, even with a Estonian company, in︀ theory, if the company could be regarded as managed from PT, then it would︁ be tax resident in PT only under the DTT, and again, the DTT becomes irrelevant,︂ since it would simply be treated as a PT company.

Most NHR residents seem to︃ be using companies in Cyprus or Malta as those come with much lower taxes than︄ Estonian companies.
But as always, you don't know if/when the PT tax authorities might change︅ their stance on these companies that have no economic substance where they are incorporated and︆ are essentially run from Portugal.

That's not correct, there are additional criteria. I don't︉ remember all the details, but for example, if 50% or more of the income the︊ company that pays the dividends is passive, then there may be PT tax after all.︋ It only works with operative businesses. I believe this was due to PT CFC rules,︌ but I don't remember exactly.
 
The only additional criteria i'm aware‌ of is if the income comes from a country included in Portugal's black list or subject to taxation lower than 50% of Poruguese CIT then CFC rules apply.
 
I'm 100% sure there was something about active vs. passive income as well. But maybe‌ that has changed since I last looked into this.

Alright, so it was about new‍ CFC rules that came with the implementation of ATAD.
Did some googling:

https://www.linkedin.com/pulse/revamped-portuguese-controlled-foreign-company-rules-cassiano-neves
https://www.ey.com/en_gl/tax-alerts/portugal-transposes-the-eu-atad-into-portuguese-tax-law
I don't remember all the details, but it was important︃ to make sure that CFC rules don't apply, and as you can see, active vs.︄ passive income is an important criterion for that.
I didn't look more into this now,︅ but there you have a starting point in case you want to do more research︆ yourself.
 
Ok but‌ isn't active vs passive income only taken into account if foreign CIT is 50% lower‍ than PT CIT? That's why Malta, Cyprus, Estonia are all valid options.
 
That's possible, I haven't looked into this in a long time. Just mentioning it, so‌ anyone really interested in it knows what to check...
 
How to be protected from CFC rules being triggered if I’m distributing dividends from a‌ company in Dubai where I hold 60% shares?

I should be able to export a‍ Corporate TRC in a few months, but understood it doesn’t detail the director/manager details, which⁠ is good for me. I don’t have a local manager yet sadly, but looking to⁤ hire one, possibly a nominee too. And I do have an office.

Is that enough?⁣

I still don’t understand why would Malta/Cyprus/Romania/Bulgaria/Estonia work, but not UAE. After all, they all⁢ got DTAs with Portugal, and supposedly international agreements overrules domestic CFC rules. But I might︀ be wrong here.
 
UAE does work, there was a case a couple years back where a NHR resident‌ won in court over the PT tax authorities.

Guess it could be more risky still‍ than EU countries because of reputation as a tax haven, sticking out among everyone else⁠ with Cyprus/Malta companies, etc.
Having a local director shouldn't be relevant for CFC rules, but⁤ for corporate tax residency/permanent establishment.
 
Can you tell us more⁣ about that case? Was that resident the sole owner in the UAE company or a⁢ minority shareholder? Was there a director and substance in UAE?
 
Yeah that case from 2017⁣ I guess?

Only thing is hiring a local director in Malta would cost 1-3k a⁢ year, whereas in Dubai it’s a good 15k a year at least.

I know some︀ entrepreneurs living in Portugal and distributing dividends from non-EU jurisdictions like Singapore, HK, and Colombia.︁ Not sure why that’d be better than UAE in the sense of less risky.

Is UAE more likely to be considered a CFC comparing to Malta/Cyprus? Why is that?
 
Yes, I guess the case could have been from 2017 (should be possible to find‌ on Google quite easily).
As far as I know, you will always need substance with‍ NHR, as you can only be a passive investor in the company.
I don't think⁠ there is a big difference with regards to CFC rules between UAE and other non-EU⁤ countries, but I'm not sure. You should ask a Portuguese tax lawyer about this stuff⁣ if you're seriously considering it.
 
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