Your home country already takes all your margin. Latvia takes 0%
Same Stripe. Same Shopify. Same customers. The only thing that changes: your tax rate. Set up your Latvian SIA in 2 days.
Your country already takes all your margin. Latvia takes 0%.
You're generating revenue, but France eats all your margin. You feel like you're not moving forward.
Revenue Ceilings
Many countries cap small business regimes. Once you scale past the threshold, you're hit with full corporate tax, complex accounting, and crushing social charges.
45-55% Effective Tax Rate
Corporate tax, social charges, dividend tax: in high-tax countries, more than half your profit goes to the government. Every euro reinvested is taxed first.
Over Half Goes to the State
Corporate tax 25%, social charges 45%, flat tax 30%… On €100K profit through a SASU, you keep less than €45K. Impossible to seriously reinvest in ads and growth.
Get your margin back and forget payment processor stress
Many e-commerce entrepreneurs flee high taxes for a US LLC. The result: Mercury freezes, Stripe suspensions, offshore banks shutting down. In Latvia, you're in the EU: stable, regulated, built to last.
The US LLC Trap
- Mercury: $107K frozen without warning
- Stripe: funds held for weeks
- PayPal: suspensions without explanation
- No tax residency = still taxable in your home country
- No EU legal protection, zero recourse
The Latvian Setup
- EU banks (Swedbank, SEB, Citadele): stable, regulated
- Stripe EU: same rates, no abusive holds
- Native SEPA: euro transfers without friction
- Wise + Revolut Business: instant setup
- Access to EU bank loans (mortgages, business)
How Much More Do You Keep Each Year?
Every euro saved is more ad budget, more stock, more growth.
* Indicative simulation. France: SASU with 25% CIT (15% reduced rate under EUR 42,500), 30% flat tax, ~45% social charges. Latvia: SIA with 0% CIT on reinvested, 20% on distributed. The reinvested portion is taxed at 0% in Latvia but 25% in France.
Dubai Promises 0%. Latvia Guarantees It. Inside the EU.
| Criteria | France (SASU) | Dubai (FZE) | Latvia (SIA) |
|---|---|---|---|
| CIT on reinvested profits | 25% | 0-9% | 0% |
| CIT on distributed profits | 25% + 30% flat tax | 0% | 20% |
| Stripe (EU cards) | 1.5% + €0.25 | 2.9% + FX fees | 1.5% + €0.25 |
| SEPA / Euro | Yes | No | Yes |
| Shopify Payments | Yes | Yes | Yes |
| Amazon EU (all markets) | Yes | With friction | Yes |
| Banking stability | Solid | Risky (freezes) | EU-regulated banks |
| Mortgage access | Hard (entrepreneur) | Very limited | Yes (EU resident) |
| Tax treaty with France | N/A | Yes (non-EU) | Yes (EU framework, 1997) |
| Tax stigma | N/A | High (audits) | None |
| Cost of living (vs Paris) | Baseline | +30% | -45% |
| Company formation | 4-6 weeks | 2-3 weeks | 2 days |
In France, you pay CIT. In Latvia, that same amount becomes your real estate down payment.
Thanks to the Latvian holding system, transfer your e-commerce profits directly into real estate, without paying corporate tax first. Build wealth while your competitors enrich the state.
Discover real estate investmentMortgage access after 12-18 months of declared SIA income. Latvian holding = 0% CIT on profits reinvested into real estate.
In 3 Weeks, Your SIA Is Operational
Strategy Call
We analyze your e-commerce situation, volumes, and tools. We tell you honestly whether Latvia makes sense for you.
SIA + Bank + Stripe Setup
SIA created in 2 days. EU bank account opened in 1-2 weeks. Stripe and Shopify Payments configured on your new entity.
Residence + Transfer
Latvian residence permit, declared address, activity transfer. Your business keeps running, only the tax address changes.
What 0% CIT on Reinvested Profits Actually Means
In high-tax countries, 25% CIT applies to all profit, even what you reinvest. In Latvia, reinvested profits are taxed at 0%. Here's what that means in practice.
You reinvest €50K in ads. In France, the state takes €12,500 in CIT. In Latvia, you keep it all.
You reinvest €100K in stock. That's €25K more inventory that France would have taken from you.
Over 5 years at €100K/year reinvested, you keep €125K more. Enough to buy an apartment in Riga, cash.
Run Your E-commerce from Riga, Bali, or Your Couch
With a declared address in Latvia, you're a tax resident without being locked in. EU residence permit, Schengen freedom, business keeps running.
Frequently Asked Questions
Do I have to live 183 days in Latvia?
No. You have two options to establish your tax residency in Latvia: stay 183 days per year, or simply have a registered address there year-round. You can live wherever you want while benefiting from the Latvian tax framework.
Is it legal to set up a company in Latvia for my e-commerce?
Yes, 100%. Latvia is an EU and OECD member with a bilateral tax treaty with France (1997). You're creating a legitimate company in an EU member state, just like setting up in Germany or Spain. The condition: you must transfer your tax residency, which Balt Partners helps you do.
Do I have to live in Riga all year?
No. Two options for Latvian tax residency: declare an address in Latvia (deklarētā dzīvesvieta) or spend 183+ days per year in the country. With a declared address, you can travel freely and manage your e-commerce from anywhere in the world.
Why Latvia over Dubai?
Dubai attracts many entrepreneurs, but has major drawbacks for European e-commerce: no SEPA (extra fees for EU customers), 9% CIT introduced in 2023, cost of living 30% higher than Paris, increasing tax audits from French authorities on UAE expats, and strong tax stigma. Latvia offers 0% CIT on reinvested profits, inside the EU, with SEPA, at 45% lower cost of living than Paris, and zero stigma.
Why not Estonia?
Estonia has the same 0% regime on reinvested profits, but its distributed profit tax is rising to 28% in 2026 (vs a stable 20% nominal rate in Latvia). Estonian e-Residency does NOT give you tax residency, you remain taxable in your home country. And there's no French-speaking support in Estonia. With Balt Partners in Latvia, you get a single point of contact, in your language, for everything.
Can I invest in real estate in Riga?
Yes, and it's one of the key advantages. As a Latvian resident with declared income from your SIA, you have access to EU bank loans. Riga's real estate market is growing, rental yields are 5-8% gross, entry prices start at €50-80K in the city center, and Latvian law protects the property owner, unlike in France. It's the way to turn your e-commerce income into lasting wealth.
How much does it cost and how long does it take?
The SIA is created in 2 business days. Bank account in 1-2 weeks. The full process (company, bank, residence) is typically completed in 3 weeks. For pricing, check our pricing page or book a free call so we can analyze your situation.
Watch our explainer videos
Our experts answer the most frequently asked questions about relocating to Latvia, on video.
Watch FAQ videosTransfer your e-commerce profits into real estate
With a Latvian holding structure, you can reinvest your e-commerce profits into European real estate without paying tax on the transfer. Your margin becomes your wealth.
Learn more about real estate investment →| US LLC (Wyoming/Delaware) | Latvian SIA | |
|---|---|---|
| CIT on reinvested profits | 0% (but US personal tax liability) | 0% |
| European IBAN | No | Yes |
| Native Stripe/Shopify | Accounts often frozen | Stable, EU |
| EU mortgage access | No | Yes |
| European residency | No | Yes |
Ready to take the next step?
We guide you through every step and answer all your questions.