guys, I don't know how you manage to use non-resident companies for B2B transactions. Tipically when there are services, consultancy etc to avoid witholding taxes countries ask tax residence and beneficial ownership of the payee (to avoid conduit companies).
So in general i would not feel comfortable to have a company without a tax certificate of residency.
Even if you invoice with a SMLLC, which is NOT tax resident in US, from US side the taxation will depend on the residency of the sole owner.
In that case the safest bet is to use a company tax resident in a country without LOB with US.︀ So under all points of view I believe a tax residence certificate is absolutely needed︁ to feel safe and scale safely (i.e. to be able to defend your position in︂ case of audit by tax authorities - it is clear that in absence of audit︃ you can do any s**t you want, but it is not relevat).
absolutely right.
I see you are a CY︇ lawyer (a jurisdiction i love, not only for taxation but also for the russian girls︈ in Aya Napa - now disappearead for obvious reasons), so i will seize the opportunity︉ to ask:
which is the basic basic cost to incorporate a CY company? somebody in︊ the forum claimed 500 eur, it is realistic?
i am considering the idea to use︋ it as trustee for a CY international trust. Also wondering if there is a way︌ to draft a trust without too much lawyers fees (i have also a legal background,︍ despite not a CY lawyer)