TAX EVASION GENERAL

t. statist cuck longing for a cock in the ass

that's great! how much do you know already? I would need some help, do you know anything about crypto taxation in Switzerland? What about international taxation and tax treaties?

I know that cap gains are 0 in Switzerland for private persons, but am interested in the "professional investor" definition, how exactly would you know if you are a professional if you have been trading crypto?

if you know any cases regarding crypto taxation and think you can help, leave any email where I could contact you tomorrow.

willing to pay if you know what you are talking about
or if you can't help, do you know anyone who can?

my main method of theft evasion is to be self employed.

instead of paying roughly 50% of taxes and various "social contributions" i only pay 7.5% this way.

others net is around

* others net is around 53% of what they cost the employer but there is also a huge vat on everything. i get around vat by ordering from abroad.

Simple go to a “Citadel” a safe haven where there are BTC early adopters live

For example, Puerto Rico there’s many over there

The IRS cannot do SHIT to you because you’re not in FUCKEN USA

But you got to become Sovereign first to be free!

pls respond

For now switzerland treat crypto as wealth, and is taxed yearly at a very ridiculous rate.

But there is two problems :
(i) First you need to be a Swiss resident to benefit from the swiss tax laws and be taxed yearly on your cryptos (US/CH tax treaty). For now swiss administration willingly don't give a shit about this to attract rich people in their country.
(ii) If you are american and a resident in switzerland, you are still taxed on your world income. In normal time you ask the IRS to apply the tax treaty between US and your country of residence and they give you a tax credit based on the amount of tax you paid in your country of residence. For exemple you earnt 100k in CH in a wage job. Both USA and CH will tax it in your exemple because of your nationality even if you are swiss resident. Swiss will tax 25% and US 25%, you will pay 25k in CH. Then you will have to pay 25% in US too, but according to the tax treaty,IRS will give you a tax credit on what you paid in CH => 25k. Then in this case you will only pay in CH.
But if for exemple CH had a 20% tax rate and US 25%, you will still have to pay 5% in US because the tax credit amount is 20k.

irs.gov/pub/irs-trty/swiss.pdf

But this exemple doesn't works in our case of cryptos. The tax credit from the tax treaty only apply on incomes thats the two countries treat as same. for exemple you can't have a tax credit in US on business income if the switzerland treated this same income as shareholding income. its called "mismatch qualification". it results in a double taxation, most of the time its no big deal and the tax administrations find a solution.
But for our case the mismatch qualification is due to the newness of countrie's provision in this matter, Switzerland treats Cryptos as fortune income but US treats Cryptos as shareholding income or may be as sale of shares. In this case there is a mismatch and you can't have your tax credit. (incomes are treated differently in both countries).

see if you are a non professionnel investor.

Its different if you are a professionnal investor.
I don't know the solution in Switzerland but I know it in France, I think its pretty much the same because both tax systems are similar

You are a non professionnal if you place orders only to fructify your fortune and you are a professionnal if you places orders to speculate.
The mains elements of distinction are the frequency of orders (Years or months VS daytrading). there are others elements like if its your job (for exemple a trader doing it for himself, bankers knowing the market and investing with their private fortune etc)

In our case if you are american you really should go live in CH and declare these gains as a professionnal because there will not have a mismatch qualification like the non professionnal investor that will have to pay in US. Both countries will treat your "professionnal" income as an independant income and the tax credit from the tax treaty will be enforceable.