PREP Podcaster - ”Success Favours The PREPared Mind”
News:News Commentary
February 9, 2021 - Participants Include:
Dr. Karen Alpert - @FixTheTaxTreaty
Tim Smyth - @Tpsmyth01
John Richardson - @Expatriationlaw
Internal Revenue Code 6039G requires US Treasury to publish the names of US citizens who relinquish US citizenship. Some refer to the list as the "Name and Shame" list, while others call it the "Liberty List".
6039G in relevant part includes:
"Notwithstanding any other provision of law, not later than 30 days after the close of each calendar quarter, the Secretary shall publish in the Federal Register the name of each individual losing United States citizenship (within the meaning of section 877(a) or 877A) with respect to whom the Secretary receives information under the preceding sentence during such quarter."
Surprisingly there is wide disagreement about:
- exactly which individuals are required to be named on the list (all relinquishers, "covered expatriates" only, Green Card holders?)
- the accuracy of the list (how well does it correlate with the actual numbers of relinquishers)
- the reasons individuals relinquish US citizenship (political or to escape the US tax an/or regulatory net)
In this podcast we discuss: What does the list purport to represent and how accurate is the list?
US Croatia Proposed Tax Treaty Gives The US Taxing Rights Over Renounced US Citizens
About Loss OF Identity: What The Dodge Stratus Teaches US About Renouncing US Citizenship
Coach Coutts: Why Growing Up With A Sister Is Important PREParation For Life
Cross-posted from ”JohnAlanPod”: The American Way? U.S. Emigrants and Taxation part 2 - episode 198
The Decline Of The British Pound And Phantom Capital Gains For Americans In The UK
Update With Craig Swartz - Former Democrat Candidate For Ohio 5 - The Movement Continues
To Renounce Or Not To Renounce - What Are The Benefits Of Remaining a US Citizen?
Oral Arguments In Rost v. United States - Before United States Court of Appeals, Fifth Circuit - July 6, 2022
JohnAlanPod: Taxing Americans Who Live Overseas: UNFAIR? - ep.194 with my guests Keith Redmond and John Richardson
Supreme Court FBAR Hearing November 2, 2022: ALEXANDRU BITTNER, Petitioner, v. No. 21-1195 UNITED STATES, Respondent
The Supreme Court And Mr. FBAR - Should The Non-willful Penalty Be Limited To The Form? - Discussion with @JimmySextonLLM
Mr. FBAR Makes A Visit To The Supreme Court Of The United States - The Bittner Case - Discussion With Virginia La Torre Jeker
Former US Expat And Ohio Congressional Candidate Explains Why He Supports Residence Based Taxation
For Good And Evil: The Teaching Of Charles Adams Lesson 27 - Heavy Taxation Results In Decline
Why US Citizenship Tax And FATCA Hurt Resident Americans (Even Though They Don’t Know It)
For Good And Evil: The Teaching Of Charles Adams Lesson 26 - Taxation And The Erosion Of Liberty
Thoughts On: ”FATCA LEGISLATION AND ITS APPLICATION AT INTERNATIONAL AND EU LEVEL: - AN UPDATE
When ”Beneficial Ownership” Constitutes A Financial Interest And Triggers An FBAR Requirement
@MiAzhikwan - The Importance Of Love - The First Lesson
@MiAzhikwan - Choosing Forgiveness - The Eighth Lesson
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