Episodi

  • EP5: The CRA Doesn’t Care What the IRS Says (Canada)
    Apr 13 2026
    CRA classifies your US LLC as a foreign corporation. FAPI rules can push effective tax to 58-73%. Full article: https://www.globalsolo.global/blog/cra-us-llc-tax-trap-canadian-founders-2026
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    8 min
  • EP4: No Tax Treaty. Every Dollar Taxed Twice. (Brazil)
    Apr 13 2026
    Brazil has no tax treaty with the US. Receita Federal taxes 100% of your LLC income. Full article: https://www.globalsolo.global/blog/receita-federal-us-llc-no-treaty-brazilian-founders-2026
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    9 min
  • EP3: You Built a US LLC. You Can’t Bank With It. (Pakistan)
    Apr 13 2026
    Pakistani founder formed a Wyoming LLC but got rejected by Mercury. Full article: https://www.globalsolo.global/blog/us-bank-account-pakistani-founder-restricted-jurisdiction-2026
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    6 min
  • EP2: The HMRC Trap — Why Your US LLC Might Owe 33.75% UK Dividend Tax
    Apr 13 2026
    From April 2025, HMRC treats US single-member LLCs as foreign corporations. UK-resident developer Tom discovered his Wyoming LLC income was being taxed as dividends at 33.75% — on top of US obligations. Full article: https://www.globalsolo.global/blog/hmrc-us-llc-tax-reporting-uk-residents-2026
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    8 min
  • EP1: Your ’Tax-Free’ LLC Isn’t — What India’s Tax Law Does to US LLCs
    Apr 13 2026
    SaaS founder Priya thought her Wyoming LLC was the clean, tax-free solution — until her Indian CA looked at her $180,000 in retained earnings. In this episode, we break down how India's tax authorities claim 100% of single-member LLC income at up to 39%, why the India-US DTAA doesn't cover what founders think, and what the structural fix looks like. Full article: https://www.globalsolo.global/blog/india-tax-residency-us-llc-income-treaty-guide-2026
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    8 min