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I am surprised how little focus is put on the legal and financial aspect of running a business there.

I see on one of the pages that the business income tax is 17% and individual income tax is progressive (up to 40%), VAT is 19%. Then you have some weird "general tax on payments abroad" that's 35%, "license fees" 30% and "advisory services" 30%, "interest on loans" 4%-35%.

In the double taxation paragraph, dividends are taxed at 15% so I guess these aren't one of those amounts where the 35% "general tax on payments abroad" applies. That is assuming they allow you to send dividends abroad.

I guess this isn't seen as important since a startup is mostly burning cash (ie. the $40.000 grant and some?) but it just seems odd to me to just move 1 year in Chile without understanding all these rules and more.



I'm in the program and these taxes are not an issue for anyone. Don't let it discourage you from applying. The business environment is good. And consider that:

* companies are taxed on profits not revenues (!!) * legitimate expenses made to foreign companies are not subject to the fees you describe * income earned abroad by new residents to Chile is not taxed for three years (!!!)

Practically, start a foreign-incorporated business to collect payments internationally and start a Chilean company to hire local staff and cover development costs in country. If your Chilean business makes such an embarrassing amount of money that you cannot spend it, then congratulations! You can spend some of your profit to restructure.... :)


>The business environment is good.

What do you mean by this?

>* legitimate expenses made to foreign companies are not subject to the fees you describe

If legitimate means there is some bureaucratic mechanism behind to justify those expenses, it would be a problem if the red tape is too much to bear.

>* income earned abroad by new residents to Chile is not taxed for three years (!!!)

This is nice.

>Practically, start a foreign-incorporated business to collect payments internationally and start a Chilean company to hire local staff and cover development costs in country.

This might be subject to some transfer pricing reviews.

>If your Chilean business makes such an embarrassing amount of money that you cannot spend it, then congratulations! You can spend some of your profit to restructure.... :)

I might be old-fashion, but I believe a company is supposed to pay dividends (hence my concern about taxation). But I guess that if you are running a startup, paying dividends is the least of your problems, staying liquid is the name of the game.


> companies are taxed on profits not revenues (!!)

Businesses are always taxed on profits, not on revenues.


Not true. Seems like quite a few places in the world have a tax on gross receipts - including, of all absurdity, Philadelphia.


same is the case in the state of Washington - 2% B&O tax on revenue.


The "General tax on payments abroad" applies to services, rather than dividends. Also, technical or professional services rendered abroad --- presumably, most of what a startup would be paying its suppliers for --- get withholding tax at 15% rather than 35%. (I am no accountant or tax lawyer, but to me it looks like the main point of the 35% tax is some sort of anti-transfer-pricing-abuse measure --- to penalise attempts at tax evasion by local companies who pay their affiliates in tax havens for fictitious and ill-defined "services" and then try to claim that these service payments are part of their cost of doing business and should be deducted from profits for their Chilean tax bill.) For the dividing line of what is a technical service or not, look up "Servicios prestados en el extranjero" on the website of the Chilean taxation authority: http://www.sii.cl

Even better, these tax rates on both services and on dividends may be further reduced by bilateral treaties. Chile has tax treaties with many OECD members and South American countries. See http://www.sii.cl/pagina/jurisprudencia/convenios.htm

US citizens/permanent residents should note a few things. Like trevalyan says, don't let it discourage you --- but be aware of the issues that could come up. If you participate in the program, you will become an owner of a "Controlled Foreign Company". You have to file a Form 5471 every year with the IRS and an FBAR declaration (TD F 90-22.1) with the US Treasury Department for any bank accounts owned by you or your Chilean company. 5471 in particular is a pain in the ass. Also if you go back to the US afterwards and continue running your Chilean company, it can get very complicated --- look up "Subpart F" (Internal Revenue Code sections 951-965), in particular "foreign base company services income" --- start at http://www.law.cornell.edu/uscode/26/usc_sup_01_26_10_A_20_1...

Another (less pressing) problem is that Chile has signed a tax treaty with the US, but it is not yet ratified by either side's legislature. Until the treaty has been ratified and the IRS determines that it meets their requirements, dividends that a US citizen receives from a Chilean company are NOT qualified dividends. They will be taxed at your ordinary US income tax rate and not the reduced rate of 15%. But I'd imagine by the time you are profitable enough to think of paying dividends, the treaty will be settled and this will no longer be a problem (though of course, the provisions for qualified dividends may have sunsetted by that time!)




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