Minimize risk of being caugh by EU gov for a US LLC

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In the early days of FATCA, that used to be the case. Nowadays, the US‍ is increasingly meeting its reciprocity obligations under FATCA. It'd be a dangerous thing to bet⁠ on that not being the case.
 
Yes that's what I have done, but don't put it all in 1 stable coin,‍ spread the risk to USDT, USDC and DAI, you never know.

it's impossible to do remote account opening with them as far⁣ as I read, or do you know a way?
 
sadly you must go there‍ in person to their branch of "la milla de oro" (the golden mile ) in⁠ San Juan
 
Are you aware of "informational" IRS Form︉ 5472? In it you self-disclose annually your EU tax residency and tax number to IRS.︊ I'm not sure what they are doing with this information.
 
sure but they ask for a physical office in the jurisdiction you are registered.
Solution: Pay a bit more and get a cheap a*s office or at least a desk‍ in a office building
 
Form 5472 is only for foreign owned corporation.⁠ To my knowledge it does not apply to foreign own company. So if the LLC⁤ did not elect to be taxed as a C or S corp, it should not⁣ apply.
 
Risk of getting caught in your case is very slim op like 1 %.
Just don't tell anyone your friends or even family and of course don't make any transfers‌ from LLC emi to your real bank
 
Not sure about that. Since 2018 it's all over the place that LLC's with foreign owners⁠ (more than 25% owned) have to file informational Form 5472. I would ask US tax⁤ layer first before making the move.
 
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