7 Mythen zur „0% Steuern zahlen“ US LLC & digitalen Nomaden

👉 💪🏻 ✈️ ➡️ Become a client now https://tinyurl.com/ywftz8ez 🚨 Attention, digital nomad and perpetual traveler! 🌴💻 Think you've escaped the German tax office? Be careful: you could be making an expensive mistake! 💸 In fact, since 01.01.2009 (on this date, §2 of the Foreign Tax Act was amended following the “HH Frentzen ruling” of the Federal Fiscal Court, link below), German digital nomads or perpetual travelers still have to pay tax on their commercial income, e.g. via a letterbox company, for 10 years after deregistration in Germany. IMPORTANT: Freelancers (= self-employed persons who do not have to pay trade tax in Germany) are NOT affected by this and can set up LLCs and account for them to their heart's content. Austrians and Swiss anyway. We have already published several videos on this topic. The last one in August 2024 (link:    • Auswandern: Steuerfalle US LLC für deutsch...  ), to which we received many reactions and letters. These made it clear that there are still a number of misunderstandings about the regulation, which is difficult to understand. In this video, I uncover the 7 biggest misconceptions about the commercial income of digital nomads via letterbox LLCs and similar constructs and show how quickly they can fall under the extended limited tax liability if you are a German citizen. 🕵️‍♂️ You will find out: ✅ Why your “letterbox company” can get you into trouble ✅ Why the 16,500 euro exemption limit does not automatically protect you ✅ Why a “compliance residence” in a high-tax country is not enough No complicated tax texts, just clear facts and examples! 📊 Save yourself thousands of euros 💰 and sleep more soundly 😴 by avoiding these common traps. Don't be misled by self-proclaimed “experts”! 00:00 - Taxation of digital nomads' business income after moving away 01:34 - Income without a permanent establishment - a topic that requires a lot of explanation 02:32 - The extended limited tax liability in fast forward 04:43 - Myth 1 - Taxation only for domestic interests 08:29 - Myth 2 - The 16,500 euro exemption limit 12:00 - Myth 3 - Foreign entrepreneurs are not affected 13:49 - Myth 4 - Nobody can see through it! 15:25 - Myth 5 - The Frentzen ruling 18:49 - Myth 6 - Compliance residence 21:05 - Myth 7 - Virtual office is enough 23:20 - Do you have any further questions? = Background = 👉 Amendment of § 2 Foreign Tax Act from 01.01.2009 https://www.buzer.de/gesetz/5491/al16... 👉 The extended limited tax liability according to §2 AStG and the zero tax LLC https://www.nullsteuer.llc/llc-info/e... 👉 Act on the Taxation of Foreign Relations (Foreign Tax Act): § Section 2 Income tax https://www.gesetze-im-internet.de/as... 👉 Principles for the application of the Foreign Tax Act https://www.bundesfinanzministerium.d... 👉 Amendment of the Application Decree to the Fiscal Code (AEAO) https://www.bundesfinanzministerium.d... = Our websites = https://www.perspektiveausland.com/ https://www.wohnsitzausland.com/ https://uskanzlei.com/ https://www.auslandsunternehmen.com/ https://stmatthew.de/ https://www.nullsteuer.llc/ https://www.malta1.de/ https://www.nullsteuer.llc/ https://www.assetprotection.plus/ = About Perspektive Ausland (perspective abroad) = Anyone who wants to move as an entrepreneur or freelancer from German-speaking countries to (tax-efficient) foreign countries or become a digital nomad has a lot of tax and legal questions. Country selection, international tax law, setting up a company abroad, exit tax, visas, capital investments and asset protection – these are just some of the topics that you now have to deal with. Perspektive Ausland (perspective abroad) is a German podcast from London that deals with exactly such questions. No matter what your motivation for moving abroad is – less taxes, more freedom or a higher quality of life – you've come to the right place.