From the US with an LLC: Latvia DNV
How a US LLC interacts with the Latvia 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
- €4,213
- Tax rate
- 25%
- Processing
- 4–8 wks
- Max stay
- 24 months
US LLCs are pass-through entities for IRS purposes — income flows to the owner's personal tax return. Latvia'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
- Latvia 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 Latvia treats your US LLC
The structural question for Latvian DNV holders running US LLCs: does Latvia'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 Latvian corporate law. A US LLC — with limited liability, capital structure, and corporate-style governance — often resembles a Latvian 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. Latvia treats LLC income as if earned directly by the owner. Owner pays Latvian personal income tax on the income. No Latvian 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. Latvia treats the LLC as a non-resident foreign corporation. LLC income is corporate income, taxed at Latvian rates if there's a permanent establishment (PE), or treated as foreign income with treaty relief. Owner pays Latvian 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 Latvia, it may be deemed a Latvian tax-resident entity regardless of US-side treatment. This is the riskiest outcome — the LLC becomes a fully-taxable Latvian corporation.
Practical setup for Latvia DNV holders
The cleanest US-LLC setup for a Latvian DNV applicant typically involves:
- 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 Latvia to deem it a Latvian entity.
- Don't sole-source revenue from Latvian clients. If 100% of LLC revenue comes from Latvian sources, Latvia has a strong case for PE assertion. Diversified non-Latvian revenue helps.
- Salary, not just distributions. Many advisors recommend the LLC pays a reasonable salary to the owner for Latvian services rendered, with the salary subject to Latvian tax in full. This satisfies both IRS "reasonable compensation" rules for S-corp elections and Latvian substance tests. The residual profit flows as pass-through or distributions.
- Use the US-Latvia tax treaty. Most US-Latvia double-tax treaties contain provisions for relieving double taxation on the same income stream. Treaty-residence tie-breaker rules apply if you become Latvian tax resident.
- Get a tax opinion in writing. For LLC income above ~$100,000/year, a tax opinion from a cross-border specialist (US-Latvia 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 Latvian corporate tax.
Related Latvia DNV pages
Latvia DNV tax page
Full Latvia DNV tax mechanics: regime, social security, the 183-day cliff, how foreign-source income is treated
Best DNVs for Americans
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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.