Not to defend German bureaucracy but if you are serious and want results this is not how you do it. If you want a GmbH quickly there are specialized lawyers that maintain a pool of freshly founded GmbH's for you to buy. Everything is set up for you to start. If you don't like certain things like the company name, you can always change it later. That being said, I know plenty of people who founded their GmbH themselve…
> If you want a GmbH quickly there are specialized lawyers that maintain a pool of freshly founded GmbH's for you to buy. The fact that this absurd situation exists is a huge proof that the bureaucracy has gotten out of hand and that Germany is unfriendly to starting new businesses.
Founding a company in Germany: €9600, 152 days and I still can't send an invoice
561–570 of 789 posts
Re: Founding a company in Germany: €9600, 152 days and I still can't send an invoice
#562Earlier quoted context omitted.
> A company that starts with nothing wouldn't be a GmbH (limited liability company), it would be a GoH (company without liability), and there's a good reason why those don't exist... Those do exist in other countries. An LLC in the USA does not generally need to have a certain amount of assets. Such a company is more or less without liability until it has some assets; the worst case for its owners when it comes to a…
Not quite. In the US this condition is handled at the back end. Running a corporation or LLC without sufficient capitalization can be grounds for piercing the liability shield in a lawsuit.
Re: Founding a company in Germany: €9600, 152 days and I still can't send an invoice
#563Earlier quoted context omitted.
If a company collapses while having more liabilities than assets then that's fine. No one is being forced to extend any credit to them.
It will make it harder for "worthy" companies to get loans and credit.
Re: Founding a company in Germany: €9600, 152 days and I still can't send an invoice
#564Earlier quoted context omitted.
UG forces you to retain profit to hit a capitalisation target. An Ltd is a real company, and my £1 company has an identical legal status to one with hundreds of millions of pounds of assets.
Yes, there's a difference. But the question is whether that difference actually matters in practice. If you're a startup, you won't be making a profit anyway. Once you make a profit, 25k€ on the books (not necessarily cash) isn't a lot, especially as it doesn't have to remain in the company, you can use it to pay wages once converted to a GmbH. In the end, this is a question about whether you need something to be exa…
Apparently the author -- and every none-German in this thread -- thinks so.
Re: Founding a company in Germany: €9600, 152 days and I still can't send an invoice
#565Earlier quoted context omitted.
Finanzamt may well decide this is a German company in the cunning disguise of a cowboy hat, and charge it German corporate tax
Which is still fine imo. My idea was not about skipping German corporate or personal taxes - it was about skipping German bureaucracy.
By creating a company that requires a special filing status to the German tax office?
Re: Founding a company in Germany: €9600, 152 days and I still can't send an invoice
#566Earlier quoted context omitted.
That’s not true. From mandatory refunds when selling online, to capped credit card fees, to longer warranties, the EU is clearly better for consumer rights. Some US businesses have realized that openly screwing your customers isn’t good business practice, but they’re somewhat of the exception I hear (and a lot of those companies offer the same policies, or better, in the EU, e.g. Costco) Apple is another good example…
And all of Apple's products are much more expensive in the EU. In Austria, a MacBook Air starts at EUR1199, and the same device starts at USD1099. At today's exchange rate, that European device costs USD1360, or nearly 20% more. We can argue about the consumer friendliness of the regulations in the EU but they also add demonstrably to the cost of tech products (and likely other categories).
Nope, they don't. You'd have to compare with some countries that are 1. Not the US 2. Have less consumer protections than the EU. And guess what? Apple products are also significantly more expensive than the US there. But hey, half your comments on here are this kind of EU bashing based on grade school reasoning.
It's surprising to see on HN of all places people unaware that Apple products (and almost all other tech products) have been a lot cheaper in the US than elsewhere for decades.
So much FUD here, same for the Bunny thread. It doesn't feel organic anymore.
Re: Founding a company in Germany: €9600, 152 days and I still can't send an invoice
#567Re: Founding a company in Germany: €9600, 152 days and I still can't send an invoice
#568Earlier quoted context omitted.
Up to 2500 €. You could put in 2500 € in capital – then your personal exposure will be zero. In practice, I don’t think it’s a meaningful difference, you will just have to keep the whole 2500 € on the company balance by the end of each FY. (Unless you wanna deal with non-monetary contributions!) If you put in 500 €, you’re liable for 2000 € personally, but you don’t have to keep them for your annual report. (It also…
Substance in Estonia is usually required. A rented address does not suffice for that.
Re: Founding a company in Germany: €9600, 152 days and I still can't send an invoice
#569Re: Founding a company in Germany: €9600, 152 days and I still can't send an invoice
#570Earlier quoted context omitted.
> A company that starts with nothing wouldn't be a GmbH (limited liability company), it would be a GoH (company without liability), and there's a good reason why those don't exist... Those do exist in other countries. An LLC in the USA does not generally need to have a certain amount of assets. Such a company is more or less without liability until it has some assets; the worst case for its owners when it comes to a…
Not quite. In the US this condition is handled at the back end. Running a corporation or LLC without sufficient capitalization can be grounds for piercing the liability shield in a lawsuit.