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I'd suggest you get appoint a respected accountant in your own country with U.S. tax experience.
Assuming you're not going to be leaving the money in the U.S. (i.e. you're going to be receiving it in your local country) you have to justify the transfer of the funds somehow. Good luck!
My understanding is the following.
You can charge the U.S. entity a fee from your local operations and effectively run it at a loss or break even, but the IRS will not look favourable upon this.
You can keep the profits in the U.S. entity, pay the relevant tax and pay yourself a dividend hoping that your local laws don't sting you for withholding taxes.
Either way it's very messy.
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