PREP Podcaster - ”Success Favours The PREPared Mind”
News:News Commentary
January 20, 2021 - Participants Include:
John Richardson - @Expatriationlaw
Dr. Karen Alpert - @FixTheTaxTreaty
Dr. Laura Snyder - @TAPInternation
Suzanne Herman - @SuzanneHerman1
Keith Redmond - @Keith__Redmond
The core mission of SEAT is to "Stop Extraterritorial American Taxation".
Extraterritorial American taxation is system that imposes worldwide taxation, on the non-US income of people who live in other countries. That said, there are different groups impacted.
These groups include:
American expatriates - short term Americans abroad who are returning to the USA and engage in financial planning in the US system.
American emigrants - people who moved permanently from the United States and engage in financial planning in tax system of the country of residence (example Canada).
Accidental Americans - people who moved from the United States as small children and not think of themselves as US citizens. Their financial planning revolves ONLY around their country of residence.
American Retirees abroad - people who have moved abroad to retire and live off U.S. source income (example Social Security). They are likely to file ONLY U.S. tax returns.
Additional victims of Extraterritorial Taxation include:
The sovereign countries where U.S. citizens reside; and
Homeland Americans who are effectively prevented from leaving the United States and living a normal life outside the United States.
Why it's important to distinguish the various groups impacted
US citizenship-based taxation AKA (the US imposition of US worldwide taxation on the tax residents of other countries) is a problem bigger than any one individual or one specific group. Different provisions of the Internal Revenue Code affect different groups differently.
Those varying and disparate effects have made it hard to unify the various groups of Americans abroad in the fight to end US citizenship-based taxation.
This podcast discusses the reason for this and provides examples.
Time To Retire The Term ”Citizenship Taxation”: Better To Call It Taxation Based On Circumstances Of Birth
The US Supreme Court FBAR Decision in Bittner: The Morning After
U.S. District Court: Green Card Holders May Be Able To Rely On Tax ”Treaty Escape Hatch” To Avoid Mr. FBAR
Canada’s Underused Housing Tax Unites US And Canadian Residents In Opposition To Citizenship Tax
How The US Is Incentivizing Americans Abroad To Renounce US Citizenship
If We Don’t Hang Together, We Will Hang Separately - How Americans Abroad Divide Themselves
Paying Tax On Income Never Received: The Moores, The 965 Transition Tax, Foreign Corps and Subpart F
Redefining US Citizenship Tax: Taxation Based On Circumstances Of Birth Instead Of Circumstances Of Life (applied to people who don’t live in the USA)
FBAR Penalties - US v. Molyneux - The Next Opportunity To Argue The Excessive Fines Clause
@MiAzhikwan - The Importance Of Truth - The Second Lesson
H.R. 25 - ”The Fair Tax” - Will Be Voted On In The House - Taxation Is Too Important To Be Left To The Political Parties
US Supreme Court Denies Toth FBAR Cert Petition Refusing To Decide Whether Penalties Violate ”Excessive Fines Clause” Of 8th Amendment
Four Attitudes Of Americans Abroad Toward US Citizen Tax: Ending, Ignoring, Escaping Or Improving
Why Tax Reform For Americans Abroad Is Reminiscent Of The Movie Groundhog Day
Dr. Don Young Discusses: Jordan Peterson And The Ontario College Of Psychologists of Ontario
Notice 2023-11: A Significant Escalation of FATCA Enforcement On Foreign Banks and Americans Abroad
There Are Two Kinds Of People Who Need A Second Citizenship: The Rich And The Poor
Financial Planning For Americans Abroad In Israel with Aaron Katsman
Ms. Molyneux Meets Mr. FBAR On Fifth Avenue In New York
What If You Want To Plan For Your Financial Future, But Simply Don’t Know Where To Begin?
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