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ExpertAdvisor01
searching Neon…
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by
ExpertAdvisor01
3d ago
They had an emi license before .
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ExpertAdvisor01
1mo ago
It was only removed for a few hours . It is back up again https://www.forbes.com/sites/siladityaray/2026/08/04/telegra...
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ExpertAdvisor01
1mo ago
Reason : https://www.forbes.com/sites/siladityaray/2026/08/04/telegra...
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Telegram Removed from App Store
(apps.apple.com)
18 points
by
ExpertAdvisor01
1mo ago
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7 comments
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by
ExpertAdvisor01
1mo ago
Telegram was removed from apps store. Reason currently unknown
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ExpertAdvisor01
2mo ago
Platforms will stop offering E2EE . Didn't Instagram abandon E2EE ?
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ExpertAdvisor01
2mo ago
Has been implemented in mobas such as lol
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ExpertAdvisor01
3mo ago
I wouldn't say most. It's around 55–60% of immigrants who come from Spanish-speaking countries. Also, this uses official numbers, which reflect a larger Spanish speaking share than there is in reality (as people from Spanish-speak
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ExpertAdvisor01
3mo ago
Because it's transparent so you pay income tax ( which is lower than corp+dividend taxes especially at lower incomes ) . Later on when you scale, you can convert the LLP into an LTD. Also you might avoid exit taxes as it is an partner
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ExpertAdvisor01
3mo ago
Probably a UK limited liability partnership would be an option . But you have to investigate how the Dutch will treat it . You could apply for a advance tax ruling with the Dutch tax authorities before doing anything
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ExpertAdvisor01
3mo ago
The worst thing you could do as an us citizen (I assume ) and resident is to incorporate outside of the US.
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ExpertAdvisor01
3mo ago
You mostly use foundations for that purpose in civil law countries (which are also not part of the hague trust convention )
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ExpertAdvisor01
3mo ago
Useless + overhyped . Company will end up as tax resident from the country where it is managed & controlled . If there is an DTA the tie breaker rule applies and the country from where it is managed & controlled gets the right to ta
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ExpertAdvisor01
3mo ago
Estonia isn't 0% cit . Tax is just deferred until distribution.
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ExpertAdvisor01
3mo ago
What you describe is tax avoidance and not evasion. Tax evasion is always illegal.
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ExpertAdvisor01
3mo ago
Unfortunately it doesn't work like that. You are just adding us bureaucracy+ dual accounting (euro/USD) to German bureaucracy where nothing changes .
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ExpertAdvisor01
3mo ago
You need to demonstrate real substance (such as actually managing/working from there e.g in your case Leipzig ) . If you can't prove real substance they will just shift it back to berlin and you could be also held liable for tax e
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ExpertAdvisor01
3mo ago
Malta and Cyprus offer much better quality of life and also significantly less taxes . Also Polands IP Box(5% tax rate) regime can be very interesting to software engineers right across the border.
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ExpertAdvisor01
3mo ago
If you don't like the laws/rules then just leave Germany . There is no justification for tax evasion .
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by
ExpertAdvisor01
3mo ago
What should the US LLC do ? It will end up being treated like a GMBH in Germany (keyword : Typenvergleich ) and you will have to do all the bureaucracy in the us + Germany and end up paying the same taxes
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by
ExpertAdvisor01
3mo ago
This will most likely result in Permanent establishment (PE) in Germany (e.g due to fixed place of business). That means Germany will tax the company anything which is attributable to the German guy.
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ExpertAdvisor01
3mo ago
Yes , but cfc rules are mostly targeted against passive income and exclude active companies. They wouldn't matter in that case anyway as he would shift the tax residency to Germany by managing & controlling the company from Germany
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ExpertAdvisor01
3mo ago
Don't incorporate somewhere else it will only lead to disaster. The company will end up being German tax resident anyways due to management and control being in Germany as you live in Germany . Then you have to be compliant in 2 jurisd
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ExpertAdvisor01
3mo ago
Another recent example : https://www.telegraph.co.uk/world-news/2026/06/10/germanys-h... They laid 600+km of cables wrong ultimately delaying the project by 6 years.
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ExpertAdvisor01
3mo ago
If they are still a German tax resident , they are committing tax evasion . § 1 Abs. 1 KStG
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ExpertAdvisor01
3mo ago
You still have to go to a notary and do paperwork to change the name of the company.
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ExpertAdvisor01
3mo ago
I think you misunderstood double taxation . You probably understood it as taxation on corporate and personal level. But in this context it means taxation in two jurisdiction (Estonia,Germany)
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ExpertAdvisor01
3mo ago
In Germany you need a notary in the us you don't.
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ExpertAdvisor01
3mo ago
You can delay it until the disposal of your shares , if you move within the Eu
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ExpertAdvisor01
3mo ago
This is pretty bad advice as your company will be dual resident with Germany having the right to tax . That means you pay German taxes + double amount of compliance ( because you have to file everything in Germany+ Estonia ).
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