5 Ways to Stop Thinking and Get $@#% Done

Jurate Gulbinas   |   25 Jan 2017   |   2 min read

As a business owner, it can be easy to fall in to the trap of over thinking and over analyzing. Sometimes these processes can keep you from actually getting things done. Fiverr’s Digital Global Head suggests that entrepreneurs avoid the over thinking trap and dive into action. Some ways he recommends doing this are to delegate less important tasks, realize which decisions are priority and which are not, be willing to take calculated risks, breaking down goals to achievable tasks, and keeping in mind the every day victories small business can bring.

Key Takeaways:

  • Being the first one in the office and the last to leave is a regular day for entrepreneurs. In fact, for many of us, wherever we are is the office.
  • Recognize the things that truly require the weighing of options and deep analysis, but toss the other ones aside.
  • The best way to make headway as an entrepreneur is to approach problems or opportunities with an eye towards simplifying everything about it for your audience.

“The best way to make headway as an entrepreneur is to approach problems or opportunities with an eye towards simplifying everything about it for your audience.”

https://www.entrepreneur.com/article/288000

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Disclaimer:
This document is intended as an information source only. The comments and references to legislation and other sources in this publication do not constitute legal advice and should not be relied upon as such. You should seek advice from a professional adviser regarding the application of any of the comments in this document to your fact scenario. Information in this publication does not take into account any person’s personal objectives, needs or financial situations. Accordingly, you should consider the appropriateness of any information, having regard to your own objectives, financial situation and needs and seek professional advice before acting on it. CST Tax Advisors exclude all liability (including liability for negligence) in relation to your reliance in this publication.

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Online Business with No Physical Presence May Be Liable for US Sales Tax


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In our previous article on the topic of sales tax in September 2018, titled “Understanding Sales Tax in the US” Click here to read the post, we...

 

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8th Aug 2019
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Form 8938 for U.S. entities

Jurate Gulbinas   |   23 Jan 2017   |   4 min read

Author: Jurate Gulbinas

As we all start preparing for the new tax season and gathering tax documents, it’s good to review tax laws passed during 2016. In this blog post I am going to discuss Final Regulations regarding reporting Foreign Financial Assets by Specified Domestic Entities.

On February 23, 2016, the IRS issued final regulations regarding the application of reporting obligations under Internal Revenue Code Section 6038D as applied to any U.S. entity which is formed or availed for purposes of holding, directly or indirectly, specified foreign financial assets.

U.S. individual taxpayers have been subject to IRC Section 6038D disclosure requirements for several years. In general, IRC section 6038D requires U.S. taxpayers to report specified foreign financial assets, which include foreign bank and securities accounts, foreign stocks, interests in certain foreign trusts; indeed, an interest in almost any foreign entity, and an interest in a contract or instrument that is issued by a foreign person or that has a foreign person as a party on Form 8938. Please note that Form 8938 is not a substitute for another foreign account reporting Form FinCen 114 or FBAR.

IRC Code 6038D applies to individuals only, however a provision authorizes issuance of the regulations under which entities would be subject to a reporting requirement. It took a couple years for the IRS to finalize its regulations regarding entity reporting.

Reporting requirement applies to a “specified domestic entity”. IRS Code Regulations 1.6038D-6 explain that a specified domestic entity is a “domestic corporation, partnership, or a trust”, if such entity is “formed or availed of for purposes of holding, directly or indirectly, specified foreign financial assets”. In order to be “formed or availed of for purposes of holding specified foreign financial assets”, a U.S. entity has to be closely held by a U.S. person and “at least 50% of the corporation’s or partnership’s gross income for the taxable year is passive income or at least 50% of the assets held by the corporation or partnership for the taxable year are assets that produce or are held for the production of passive income”. This determination is made annually, thus a U.S. entity can have Form 8938 filing required one year and not the next, even if the specified foreign financial assets are the same for both years.

Passive income is defined by regulations as “dividends, including substitute dividends; interest; rents and royalties, other than rents and royalties derived in the active conduct of a trade or business conducted, at least in part, by employees of the corporation or partnership; annuities; capital gains; IRC 988 foreign currency gains; and net income from notional principal contracts”.

It’s worth noting that a taxpayer who holds multiple corporations or partnerships that have an interest in a specified foreign financial asset and are closely held by the same taxpayer, has to treat those entities as if they were a single entity for purposes of the reporting threshold. In that case, each entity is treated as owning the foreign financial assets of each related entity.

Certain U.S. entities are excluded from being specified domestic entities. U.S. grantor trust is excluded from this filing requirement. U.S. grantor trust is not a separate taxable entity for U.S. tax return purposes and U.S. grantor would be required to file Form 8938 to report specified foreign financial assets. In addition, certain domestic trusts are excluded from being specified domestic entities. IRC Regulations 1.6038D-6(d) lists exclusions for the domestic trust, among which is when the trustee has supervisory authority over or fiduciary obligations with respect to the specified foreign financial assets of the trust.
IRC Section 6038D requirement applies to specified domestic entity if the aggregate value of U.S. entity’s specified foreign financial assets exceeds: (1) USD 50,000 on the last day of the taxable year, or (2) USD 75,000 at any time during the taxable year.

2016 Form 8938 was updated already and asks for additional questions to identify type of the filer.

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Disclaimer:
This document is intended as an information source only. The comments and references to legislation and other sources in this publication do not constitute legal advice and should not be relied upon as such. You should seek advice from a professional adviser regarding the application of any of the comments in this document to your fact scenario. Information in this publication does not take into account any person’s personal objectives, needs or financial situations. Accordingly, you should consider the appropriateness of any information, having regard to your own objectives, financial situation and needs and seek professional advice before acting on it. CST Tax Advisors exclude all liability (including liability for negligence) in relation to your reliance in this publication.

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Online Business with No Physical Presence May Be Liable for US Sales Tax


29th Nov 2019
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In our previous article on the topic of sales tax in September 2018, titled “Understanding Sales Tax in the US” Click here to read the post, we discussed the ways in which US states themselves...

 

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In our previous article on the topic of sales tax in September 2018, titled “Understanding Sales Tax in the US” Click here to read the post, we...

 

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What is a CFC A CFC is a foreign corporation in which more than 50% of the shares are held by US Shareholders US Shareholders are shareholders in...

Despite OPEC Production Cut, Another Year Of Low Oil Prices Is Likely

Jurate Gulbinas   |   20 Jan 2017   |   1 min read

What does a lower oil price mean for you? This talks about that. Lower oil prices can mean lower gas prices but that’s not all since oil is used for more than just gasoline. This is an interesting read because the topic is relevant to most of us.

Despite OPEC Production Cut, Another Year Of Low Oil Prices Is Likely

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Disclaimer:
This document is intended as an information source only. The comments and references to legislation and other sources in this publication do not constitute legal advice and should not be relied upon as such. You should seek advice from a professional adviser regarding the application of any of the comments in this document to your fact scenario. Information in this publication does not take into account any person’s personal objectives, needs or financial situations. Accordingly, you should consider the appropriateness of any information, having regard to your own objectives, financial situation and needs and seek professional advice before acting on it. CST Tax Advisors exclude all liability (including liability for negligence) in relation to your reliance in this publication.

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The Biggest New Car Flops Of 2016

Jurate Gulbinas   |      |   2 min read

It can be funny to see which cars were flops and why they became that way which is why this is such an interesting read. The cars that became popular are obvious. You can tell that by just looking around while you drive, but the flops might be cars you’ve never even heard of until now.

Key Takeaways:

  • As the old saw goes, a rising tide can be expected to lift all boats, but we still found an oddball assortment of 20 cars and trucks that managed to free-fall their way to the bottom of the sales charts.
  • Among them are a few rip-roaring sports cars that perhaps have already found as many buyers over the years as could be expected.
  • Some of the worst of last year’s performers are vehicles that haven’t been redesigned in several years, or are stuck at the bottom of a dwindling or limited segment.

“Among them are a few rip-roaring sports cars that perhaps have already found as many buyers over the years as could be expected.”

http://www.forbes.com/sites/jimgorzelany/2017/01/09/bucking-the-trend-biggest-new-car-sales-losers-for-2016/

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Disclaimer:
This document is intended as an information source only. The comments and references to legislation and other sources in this publication do not constitute legal advice and should not be relied upon as such. You should seek advice from a professional adviser regarding the application of any of the comments in this document to your fact scenario. Information in this publication does not take into account any person’s personal objectives, needs or financial situations. Accordingly, you should consider the appropriateness of any information, having regard to your own objectives, financial situation and needs and seek professional advice before acting on it. CST Tax Advisors exclude all liability (including liability for negligence) in relation to your reliance in this publication.

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Online Business with No Physical Presence May Be Liable for US Sales Tax


29th Nov 2019
Jurate Gulbinas

In our previous article on the topic of sales tax in September 2018, titled “Understanding Sales Tax in the US” Click here to read the post, we discussed the ways in which US states themselves...

 

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About CST Tax Advisors CST Tax Advisors is a global firm of CPAs, chartered accountants, and attorneys that advise globally mobile private clients, family offices, and established privately owned...

 

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What is a CFC A CFC is a foreign corporation in which more than 50% of the shares are held by US Shareholders US Shareholders are shareholders in a foreign corporation that own more than 10% of...

 

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In our previous article on the topic of sales tax in September 2018, titled “Understanding Sales Tax in the US” Click here to read the post, we...

 

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About CST Tax Advisors CST Tax Advisors is a global firm of CPAs, chartered accountants, and attorneys that advise globally mobile private clients,...

 

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Jurate Gulbinas

What is a CFC A CFC is a foreign corporation in which more than 50% of the shares are held by US Shareholders US Shareholders are shareholders in...

Why Fake News Is An Antitrust Problem

Jurate Gulbinas   |   19 Jan 2017   |   1 min read

Fake news has been mentioned more lately. I never really thought of it until it recently started being discussed. It is rampant now. You never know whether a news story can be believed. This talks about what a major trust issue that creates in the average person. I can definitely see the author’s point.

Why Fake News Is An Antitrust Problem

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Disclaimer:
This document is intended as an information source only. The comments and references to legislation and other sources in this publication do not constitute legal advice and should not be relied upon as such. You should seek advice from a professional adviser regarding the application of any of the comments in this document to your fact scenario. Information in this publication does not take into account any person’s personal objectives, needs or financial situations. Accordingly, you should consider the appropriateness of any information, having regard to your own objectives, financial situation and needs and seek professional advice before acting on it. CST Tax Advisors exclude all liability (including liability for negligence) in relation to your reliance in this publication.

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What To Expect In Energy In 2017

Jurate Gulbinas   |      |   1 min read

There are energy breakthroughs from time to time but you don’t always get to hear about them. This talks about what you can expect to see in the field this year. It’s always good to keep up on the new innovations because they could be better for the environment or for your wallet.

What To Expect In Energy In 2017

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Disclaimer:
This document is intended as an information source only. The comments and references to legislation and other sources in this publication do not constitute legal advice and should not be relied upon as such. You should seek advice from a professional adviser regarding the application of any of the comments in this document to your fact scenario. Information in this publication does not take into account any person’s personal objectives, needs or financial situations. Accordingly, you should consider the appropriateness of any information, having regard to your own objectives, financial situation and needs and seek professional advice before acting on it. CST Tax Advisors exclude all liability (including liability for negligence) in relation to your reliance in this publication.

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Podcast: Navigating NFTs, DAO and GameFI


21st Mar 2024
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Boon Tan, Managing Director of CST in Singapore, recently joined Hemandra Tanapalan, Chief Executive Officer at Mstige Holdings, to discuss the intricate world of Web3 Together they unpack the tax...

 

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Where to Save Your Child’s College Fund

Jurate Gulbinas   |      |   2 min read

There are several options to choose from to save for college. Each option will have its pros and cons. There are the state-sponsored accounts which you risk possible fees and penalties for some withdraws. Prepaid Tuition Plans offer you the ability to prepay for college with stipulations. An ESA is tax-free as long as you meet income guidelines. Custodial Accounts let your child have accounts in their name if FAFSA is not your plan. Roth IRAs are an option but one you should research carefully. Research the pros and cons to make the right decision.

Key Takeaways:

  • Depending on the type of account you use, you can score some good tax advantages on top of your savings.
  • state-sponsored account is available to anyone, regardless of income levels
  • Unqualified withdrawals are taxed and hit with a 10% penalty fee.

“Working with a financial adviser can help ensure that you pick the right type of account or combination of accounts to maximize your tax advantages, growth potential and the likeliness that you’ll be able to achieve this important financial goal.”

http://www.kiplinger.com/article/college/T002-C032-S014-where-to-save-your-child-s-college-fund.html?rss_source=rss

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Disclaimer:
This document is intended as an information source only. The comments and references to legislation and other sources in this publication do not constitute legal advice and should not be relied upon as such. You should seek advice from a professional adviser regarding the application of any of the comments in this document to your fact scenario. Information in this publication does not take into account any person’s personal objectives, needs or financial situations. Accordingly, you should consider the appropriateness of any information, having regard to your own objectives, financial situation and needs and seek professional advice before acting on it. CST Tax Advisors exclude all liability (including liability for negligence) in relation to your reliance in this publication.

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Online Business with No Physical Presence May Be Liable for US Sales Tax


29th Nov 2019
Jurate Gulbinas

In our previous article on the topic of sales tax in September 2018, titled “Understanding Sales Tax in the US” Click here to read the post, we discussed the ways in which US states themselves...

 

Tax Accountant/ International Tax Advisor


8th Aug 2019
Jurate Gulbinas

About CST Tax Advisors CST Tax Advisors is a global firm of CPAs, chartered accountants, and attorneys that advise globally mobile private clients, family offices, and established privately owned...

 

FAQ


14th Jun 2019
Jurate Gulbinas

What is a CFC A CFC is a foreign corporation in which more than 50% of the shares are held by US Shareholders US Shareholders are shareholders in a foreign corporation that own more than 10% of...

 

Online Business with No Physical Presence May Be Liable for US Sales Tax


29th Nov 2019
Jurate Gulbinas

In our previous article on the topic of sales tax in September 2018, titled “Understanding Sales Tax in the US” Click here to read the post, we...

 

Tax Accountant/ International Tax Advisor


8th Aug 2019
Jurate Gulbinas

About CST Tax Advisors CST Tax Advisors is a global firm of CPAs, chartered accountants, and attorneys that advise globally mobile private clients,...

 

FAQ


14th Jun 2019
Jurate Gulbinas

What is a CFC A CFC is a foreign corporation in which more than 50% of the shares are held by US Shareholders US Shareholders are shareholders in...

How To Build An Innovative Workplace Culture With Experimentation

Jurate Gulbinas   |   18 Jan 2017   |   2 min read

In a company in this day and time, a company must rely on innovation and change in order to stay ahead of the game. However, it is easy to experiment carelessly with new ideas which will lead to unfortunate consequences. Rather than implementing large scale experimentation, companies should encourage experimentation with individuals in the company, and teach them to celebrate failures in order to keep an open minded atmosphere.

Key Takeaways:

  • A culture of innovation cannot exist without a culture of experimentation.
  • Modern business is far more competitive and data-reliant than it was in the past.
  • Building a process for testing is just one part of creating a company culture of experimentation

“Most people know that risk is a large part of business. Some companies shy away from experimentation because of the fear of failure, but the risk of not taking action is similarly destructive.”

http://www.forbes.com/sites/danielnewman/2017/01/10/how-to-build-an-innovative-workplace-culture-with-experimentation/

Download our eBook “Moving To The US”

Disclaimer:
This document is intended as an information source only. The comments and references to legislation and other sources in this publication do not constitute legal advice and should not be relied upon as such. You should seek advice from a professional adviser regarding the application of any of the comments in this document to your fact scenario. Information in this publication does not take into account any person’s personal objectives, needs or financial situations. Accordingly, you should consider the appropriateness of any information, having regard to your own objectives, financial situation and needs and seek professional advice before acting on it. CST Tax Advisors exclude all liability (including liability for negligence) in relation to your reliance in this publication.

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Online Business with No Physical Presence May Be Liable for US Sales Tax


29th Nov 2019
Jurate Gulbinas

In our previous article on the topic of sales tax in September 2018, titled “Understanding Sales Tax in the US” Click here to read the post, we discussed the ways in which US states themselves...

 

Tax Accountant/ International Tax Advisor


8th Aug 2019
Jurate Gulbinas

About CST Tax Advisors CST Tax Advisors is a global firm of CPAs, chartered accountants, and attorneys that advise globally mobile private clients, family offices, and established privately owned...

 

FAQ


14th Jun 2019
Jurate Gulbinas

What is a CFC A CFC is a foreign corporation in which more than 50% of the shares are held by US Shareholders US Shareholders are shareholders in a foreign corporation that own more than 10% of...

 

Online Business with No Physical Presence May Be Liable for US Sales Tax


29th Nov 2019
Jurate Gulbinas

In our previous article on the topic of sales tax in September 2018, titled “Understanding Sales Tax in the US” Click here to read the post, we...

 

Tax Accountant/ International Tax Advisor


8th Aug 2019
Jurate Gulbinas

About CST Tax Advisors CST Tax Advisors is a global firm of CPAs, chartered accountants, and attorneys that advise globally mobile private clients,...

 

FAQ


14th Jun 2019
Jurate Gulbinas

What is a CFC A CFC is a foreign corporation in which more than 50% of the shares are held by US Shareholders US Shareholders are shareholders in...

Donald Trump’s 10 Best Stock Market Bets

Jurate Gulbinas   |      |   1 min read

Forbes examines Donald Trump’s most profitable Stock Market Bets. These include popular companies such as Facebook, Best Buy, Bank of America, Boeing, Morgan Stanley, Yahoo, Johnson and Johnson, Goldman Sachs, and MetLife. Metlife gave the least amount of profit with a stock bought at $35.02 and sold at $50.04 a stock. However, Facebook yielded the most amount of money with stocks bought at $19.37 and sold at $57.94.

Donald Trump’s 10 Best Stock Market Bets

Download our eBook “Moving To The US”

Disclaimer:
This document is intended as an information source only. The comments and references to legislation and other sources in this publication do not constitute legal advice and should not be relied upon as such. You should seek advice from a professional adviser regarding the application of any of the comments in this document to your fact scenario. Information in this publication does not take into account any person’s personal objectives, needs or financial situations. Accordingly, you should consider the appropriateness of any information, having regard to your own objectives, financial situation and needs and seek professional advice before acting on it. CST Tax Advisors exclude all liability (including liability for negligence) in relation to your reliance in this publication.

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Podcast: Navigating NFTs, DAO and GameFI


21st Mar 2024
CST Tax Advisors

Boon Tan, Managing Director of CST in Singapore, recently joined Hemandra Tanapalan, Chief Executive Officer at Mstige Holdings, to discuss the intricate world of Web3 Together they unpack the tax...

 

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10th Mar 2020
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Section 6048 requires US taxpayers to make an annual report regarding financial or asset transfers in relation to the receipt of distributions from foreign trusts Taxpayers can be penalised if they...

 

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Section 6048 requires US taxpayers to make an annual report regarding financial or asset transfers in relation to the receipt of distributions from...

How This Founder Created The Airbnb Of High-End Fashion

Jurate Gulbinas   |      |   2 min read

Julia Gudish Krieger is jumping into the world of sharing homes and cars and adding her own twist to it—your wardrobe. Through her new up and coming company, VillageLuxe, women can now “borrow” other women’s designer and high-end clothing through the touch of a button. Inspired by companies such as Airbnb and Uber, which allows people to utilize their personal homes and cars for a little extra cash, Krieger is hoping this puts a new twist on a modern trend.

Key Takeaways:

  • Julia Gudish Krieger is making it possible with her New York City-based startup.
  • Referred to as the Airbnb of high-end fashion.
  • VillageLuxe allows women to borrow designer clothing, shoes and accessories directly from other women.

“Anyone who has used the cost-per-wear theory to justify a coveted fashion purchase just got something better — let’s call it a cost-per-rent theory — which allows you to have your Louboutins and rent them too.”

http://www.forbes.com/sites/elanagross/2017/01/10/how-this-founder-created-the-airbnb-of-high-end-fashion/

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Disclaimer:
This document is intended as an information source only. The comments and references to legislation and other sources in this publication do not constitute legal advice and should not be relied upon as such. You should seek advice from a professional adviser regarding the application of any of the comments in this document to your fact scenario. Information in this publication does not take into account any person’s personal objectives, needs or financial situations. Accordingly, you should consider the appropriateness of any information, having regard to your own objectives, financial situation and needs and seek professional advice before acting on it. CST Tax Advisors exclude all liability (including liability for negligence) in relation to your reliance in this publication.

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