Evidence that the FEIE doesn’t protect middle class USPs in Switzerland
(Source http://www.taxesforexpats.com/expat-resources/foreign-tax-credit-american-expats.html) (Source http://wikiposit.org/)
(Source http://www.taxesforexpats.com/expat-resources/foreign-tax-credit-american-expats.html) (Source http://wikiposit.org/)
Lynnley Browning (Twitter: @LynnleyBrowning) brings us the two-and-a-half-month old news that songwriter Denise Rich, the ex-wife of Marc Rich, had her name published in the Federal Register back in April due to her renunciation of U.S. citizenship in November 2011. Her editors at Reuters seem to have decided that a neutral statement of the aforesaid
SC upholds Obamacare because it is a tax – Homelanders join #americansabroad in paying tax on “unearned income” bloomberg.com/news/2012-06-2… #FATCA — U.S. Citizen Abroad (@USCitizenAbroad) June 28, 2012 In the fall I wrote a post describing how Obamacare is to be funded by taxing “unearned income”. This is one of many examples where the
Introduction Justice McKenna and his 1924 Decision in Cook v. Tait https://t.co/YBxv2lBSuQ pic.twitter.com/Or23G29jgS — U.S. Citizen Abroad (@USCitizenAbroad) April 21, 2020 This is the second post discussing aspects of Sovereignty and International Law. The first post identified the right of a country to determine who its citizens are, as one aspect of the sovereignty of
Reposted from the Renounce US Citizenship blog This post was written in December 2014. It is being reposted in 2018 – the question is why FATCA and the CRS (“Common Reporting Standard”) are mandatory information sharing schemes. They first define people in terms of their “tax residency” (each country defines who its tax residents are)
Good news on passport revocation: the House rejected the Senate version of H.R. 644 (Trade Facilitation & Trade Enforcement Act, a.k.a. the “customs bill”) and substituted it with their own version, which passed in a largely party-lines vote. The House version of the bill does not include Senator Orrin Hatch’s provision to deny new U.S.
Prologue – The Context of FATCA, FIFA and U.S. Extraterritorial Laws: Absolutely fantastic comment- #FATCA cuts off "oxygen"/ USD 2 those who won't do US's bidding-Immoral in the extreme! http://t.co/IiNPNEp7GJ — U.S. Expat Canada (@USExpatCanada) May 17, 2015 The above tweet links to the following comment at this blog: “@R talbot With respect
To accompany his recent paper “Urgent Need for U.S. Citizens Residing Outside the U.S. to be Able to Obtain a Taxpayer Identification Number (‘TIN’) Other Than a Social Security Number” Patrick Martin has made several blog posts about the difficulties faced by U.S. citizen teenagers and adults attempting to obtain Social Security numbers from outside
The National Monitor reports that 39 Americans are vying for the opportunity to expand the reach of the Interstellar “Internal” Revenue Service to Mars, producing an unwelcome drain on the scant resources of the planned human colony there: The Mars One foundation, a Dutch based non-profit group that plans to send humans on a one-way
@RepDaveCamp to release draft to @FixOurTaxCode Feb. 26. Will it include a switch from CBT to RBT? http://t.co/CG3PnREEZu — U.S. Citizen Abroad (@USCitizenAbroad) February 26, 2014 Thanks to @ShadowRaider for providing this update. Here is the text of the bulletin.