Anti-CBT Team Running for Association of Americans Resident Overseas (AARO) Board of Directors
As current AARO Board member Monte Silver seeks re-election, he is joined by a team of anti-CBT activists, many, if not all, of whom will be familiar to Brock readers.
Karen Alpert of Fix the Tax Treaty and Stop Extraterritorial American Taxation
Fabien Lehagre of l ‘Association des américains accidentels
Keith Redmond of American Expatriates Facebook group and Stop Extraterritorial American Taxation
John Richardson of Alliance for the Defence of Canadian Sovereignty and Stop Extraterritorial American Taxation
Monte Silver, active in FATCA/CBT litigation in Israel and US
Laura Snyder of Stop Extraterritorial American Taxation
Thanks to JC for his comment on the media and blogs thread sharing Monte Silver’s Facebook post:
“CHANGE IS COMING
Two years ago, AARO (association of Americans Residing Overseas) asked me to join the board of directors and head it’s tax advocacy. Two years have passed and in mid- March 2022 or shortly thereafter, AARO’s public members will elect a new board of directors.
I believe that AARO can do great things in the area of expat advocacy, and beyond. However, I realized that this requires a fresh team. So I reached out to the most respected expat community activist leaders (ie people who do stuff!) to join me. Within days, they all agreed.
Fabien Lehagre, Karen Alpert, Laura Snyder, John Richardson, Keith Redmond and our fearless Washington DC lawyer Marc Zell are all part of the team.
We are now on the ballot. But to win we need you to join AARO and vote.
Together we can have fun, do neat things and take our advocacy up a few notches.
To join AARO and learn more – visit
Read about AARO‘s activities on FATCA and US citizenship-based taxation matters on the AARO site, on their “Issues”and “Advocacy” pages.
Canada FATCA IGA Litigation Update
Maybe 30,000 Extraterritorial Prisoners?
As this last day of covid calendar year two crawls through its final hour, this new article outlines collateral damage on the renunciation front. Sauve qui peut!
https://www.theguardian.com/us-news/2021/dec/31/americans-seeking-renounce-citizenship-stuck
Ten years ago today: The @IsaacBrockSoc (per Petros) broke the news of Santa’s arrest
Circa December 24, 2011 Breaking News: In anticipation of #FATCA, Santa Claus arrested as part of Obama #FBARFundraiser https://t.co/5hqKrFYXtx
— U.S. Citizen Abroad (@USCitizenAbroad) December 24, 2021
Over the last ten years, the Isaac Brock Society has been a source of research and education. It has also been a source of news reporting:
“Reporting On What The Mainstream Media Would Never Have The Courage To Report”
For example …
On December 24, 2011 Brock (per Petros) was the first to report the arrest of Santa Claus along with the shocking accusation of Santa’s possible US citizenship.
December 2021: Brock Turns 10 – Special Thanks to Pacifica777 For Her Moderation
A Tenth Anniversary
People often overestimate what they can achieve in one year and underestimate what they can achieve in ten years!
From @HelenBurggraf 2016: Isaac Brock Society: Blog of Canadian 'Accidental Americans' becomes global info resource https://t.co/ZZMQObwGmX
— U.S. Citizen Abroad (@USCitizenAbroad) December 18, 2021
The Isaac Brock Society was launched in December of 20211 on wordpress.com. In early December 2011 I received an invitation from Petros (one of the original founders of Brock) to participate as an author. My first post was on December 12, 2011. That first post was the first in more than 500 more original posts and (I am guessing) thousands of comments. Brock was formed after the summer of 2011 which was a particularly significant period of US hostilities toward Americans abroad. This hostility was facilitated in equal parts by:
– the media (delivering messages from the IRS and compliance industry)
– the IRS (conflating resident Americans with Americans abroad)
– the cross border compliance industry (pressuring long term Americans abroad to enter the OVDI/OVDP programs)
The Summer of 2011 And The World Which Spawned Brock
Canada FATCA Litigation Appeal Update
Australia Treasury Seeking Submissions on Tax Treaty – Deadline 31 October
Australia Treasury is seeking submissions from stakeholders on Australia’s Tax Treaties. Deadline 31 October. More details at:
Fix the Tax Treaty: Treasury Tax Treaty Consultation
Fix the Tax Treaty: Treasury Submission
The Australia Treasury site;
and in this article by Helen Burggraf in AmericanExpatFinance.
Thanks, JC, for informing us of this.
U.S. Tenth Circuit Court of Appeal rules OK for IRS to prevent Americans from using passport
Thanks to Mike for finding this article.
As reported by the National Review, a U.S. Tenth Circuit Court of Appeal ruled that it is ok for the U.S. Department of State to revoke a U.S. passport (to be used e.g., for international travel) if the IRS has certified that the person owes more than $50,000 in federal taxes.
As the Court says: “…the passport revocation serves only to incentivize repayment of the tax debt.”
See the July 20, 2021 ruling.
Do US persons have a right to international travel?
Lawsuit to Force Dept of State to Reopen Renunciation Services at all Locations; Will Also Publicise the Outrageous Difficulties of Renouncing and Shed Light on Why US Expat Policy Makes Renunciation Necessary.
Fabien Lehagre, founder of l’Association des’Américains Accidentels/ the Association of Accidental Americans is instituting a lawsuit, aiming to force the State Department to reopen the services of the US Embassy that handle renunciation / relinquishment requests.
The lawsuit’s purposes are:
➡️ Because this action will allow us to publicize the fact that the State Department is depriving tens of thousands of people of a fundamental right.
➡️ Because this action will allow us to make the link with our first complaint which aims to make it free to obtain a certificate of loss of nationality.
➡️ Because this action will allow us to shed light on the reasons why tens of thousands of citizens who have American nationality want to renounce American nationality: discrimination induced by FATCA, impact of Citizenship Based Taxation, difficulty in investing as a US Citizen.
➡️ Because the fees necessary to finance this litigation are very low compared to the real cost of a lawsuit in the United States.
PLEDGE SUPPORT and/or CONTACT Fabien for further information at this link!