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From the US with an LLC: Greece DNV

How a US LLC interacts with the Greece digital nomad visa. Pass-through treatment, foreign corporation risk, the IRS check-the-box election, and the practical setup for American DNV applicants in 2026.

Min monthly income
€3,500
Tax rate
22%
Processing
4–10 wks
Max stay
36 months

US LLCs are pass-through entities for IRS purposes — income flows to the owner's personal tax return. Greece's tax authority may or may not respect this pass-through treatment. Croatia, Romania, and Cyprus are LLC-friendly. Spain and Italy can treat the LLC as a foreign corporation, triggering local corporate tax. The check-the-box election and treaty positions are the main planning tools.

Default IRS treatment (single-member)
Disregarded entity
Greece corporate tax exposure (LLC)
Country-specific
Foreign Earned Income Exclusion 2026
$130,000
Form 8832 election available
Yes (check-the-box)

How a US LLC works structurally

A US Limited Liability Company is a state-level business form with federal tax flexibility. Default IRS treatment depends on member count:

  • Single-member LLC: disregarded entity. Income flows directly to the owner's Form 1040 (or 1040-NR). No federal entity-level tax. State income tax depends on state of formation and operations.
  • Multi-member LLC: partnership. Files Form 1065, issues K-1s to members. Pass-through at the entity level; tax owed at the member level.
  • Either, with Form 8832 election: can elect corporate treatment ("check-the-box"). Files Form 1120. Subject to US corporate income tax (21% federal).

The default pass-through treatment is what makes US LLCs popular with American digital nomads. Profits flow to the owner's personal tax return, which is then subject to whatever the owner's residence-state tax rules apply. The Foreign Earned Income Exclusion (FEIE) of $130,000 for 2026 can exclude much of this from US tax for Americans bona-fide-residing abroad.

How Greece treats your US LLC

The structural question for Greek DNV holders running US LLCs: does Greece's tax authority respect IRS pass-through treatment, or does it look through to the US entity and treat it as a foreign corporation?

The legal default in most civil-law European jurisdictions is to look at the entity's substance and form under Greek corporate law. A US LLC — with limited liability, capital structure, and corporate-style governance — often resembles a Greek S.r.l. / S.A. / Ltd. structurally, even though the IRS treats it as a pass-through.

The three positions European tax authorities take

Position 1: Respect IRS pass-through. Greece treats LLC income as if earned directly by the owner. Owner pays Greek personal income tax on the income. No Greek corporate-level tax on the LLC. This is the LLC-friendly outcome. Croatia, Romania, and Cyprus generally take this position.

Position 2: Treat as foreign corporation. Greece treats the LLC as a non-resident foreign corporation. LLC income is corporate income, taxed at Greek rates if there's a permanent establishment (PE), or treated as foreign income with treaty relief. Owner pays Greek personal tax only on dividends/distributions actually paid. Spain and Italy can take this position.

Position 3: Case-by-case. The tax authority looks at substance: where management decisions are made, where employees work, where revenue is generated. If the LLC's management and operations are clearly in Greece, it may be deemed a Greek tax-resident entity regardless of US-side treatment. This is the riskiest outcome — the LLC becomes a fully-taxable Greek corporation.

Practical setup for Greece DNV holders

The cleanest US-LLC setup for a Greek DNV applicant typically involves:

  1. Maintain the LLC's US substance. US registered agent, US business address, US bank account, US-facing contracts where possible. The more the LLC looks like a genuine US business with US operations, the harder it is for Greece to deem it a Greek entity.
  2. Don't sole-source revenue from Greek clients. If 100% of LLC revenue comes from Greek sources, Greece has a strong case for PE assertion. Diversified non-Greek revenue helps.
  3. Salary, not just distributions. Many advisors recommend the LLC pays a reasonable salary to the owner for Greek services rendered, with the salary subject to Greek tax in full. This satisfies both IRS "reasonable compensation" rules for S-corp elections and Greek substance tests. The residual profit flows as pass-through or distributions.
  4. Use the US-Greece tax treaty. Most US-Greece double-tax treaties contain provisions for relieving double taxation on the same income stream. Treaty-residence tie-breaker rules apply if you become Greek tax resident.
  5. Get a tax opinion in writing. For LLC income above ~$100,000/year, a tax opinion from a cross-border specialist (US-Greece bilateral expertise) is worth the $3,000–$8,000 cost. The exposure on a deemed-corporation outcome can run 15–30% of LLC profits in Greek corporate tax.

Related Greece DNV pages

Greece DNV tax page

Full Greece DNV tax mechanics: regime, social security, the 183-day cliff, how foreign-source income is treated

Best DNVs for Americans

Best European DNVs for Americans: citizenship-based taxation, FATCA, totalisation, ranked

Greece DNV guide

The Greece DNV pillar: income threshold, application path, family inclusion, special tax regime

The 183-day rule

How the 183-day rule triggers Greek tax residency, and which European DNVs structurally avoid it

Want the full American DNV picture?

US LLC setup is one piece. The full American DNV picture also includes FATCA, FEIE, social security totalisation, and the country-specific tax regime.

US LLC on the Greece DNV: FAQs

How is my US LLC taxed on the Greece DNV?
It depends on whether Greece respects IRS pass-through treatment or treats the LLC as a foreign corporation. The treatment varies by country, by structure, and by substance. Croatia, Romania, and Cyprus typically respect pass-through; Spain and Italy can treat the LLC as a corporation. Specialist tax advice is essential.
What is permanent establishment risk for my LLC?
A 'permanent establishment' is a fixed place of business through which an enterprise conducts business activity. Running your LLC's operations day-to-day from Greece can create a PE under most Greek corporate-tax rules, exposing the LLC to Greek corporate income tax. Mitigation: keep substantive management activity demonstrably outside Greece.
Should I check-the-box for corporate treatment?
It can. Electing corporate treatment via Form 8832 (check-the-box) makes the LLC a US C-corporation for federal tax. This eliminates the foreign-corporation confusion in Greece — the LLC becomes unambiguously a corporation — but adds US corporate tax (21% federal) on profits. Trade-off depends on income level and treaty position.
How does FEIE interact with my US LLC?
The Foreign Earned Income Exclusion shields the first $130,000 (2026) of foreign-earned income from US tax for Americans who qualify under the bona fide residence or physical presence test. FEIE applies to your wages or self-employment income earned for services performed abroad — not to LLC profits passed through to you as pass-through distributions if you elect partnership treatment.
Do I still file US tax returns from the Greece DNV?
Yes — Americans on European DNVs must continue filing US returns (Form 1040 + relevant schedules) because the US taxes its citizens on worldwide income. LLC owners file Schedule C (single-member disregarded) or Form 1065 (partnership) at the entity level plus the K-1 at the personal level.
Should I restructure my LLC for the Greece DNV?
Often yes. Many US-resident LLCs operated from Greece produce double-state-tax issues. Some American DNV applicants restructure to: (a) close the LLC and operate as a sole proprietor under foreign earned income rules, (b) convert to an S-corp with payroll for substance, or (c) form a Greek entity (e.g. S.L., S.r.l.) and route work through it. The right structure depends on income level, business type, and long-term plans.

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