Irony-“Because it’s the Law” – For once, NOT applied to non-willful expats but a “citizenship” Lawyer

ON Lawyer remains in Poland as Law Society files notice of motion 4 interlocutory suspension or restriction https://t.co/dDaFdcxegz — Homelander NOT (@Homelander_NOT) May 15, 2017 //platform.twitter.com/widgets.js While this particular post is not about a tax-compliance professional per sé, it IS about a person with whom many of us have had interactions and from whom weContinue reading “Irony-“Because it’s the Law” – For once, NOT applied to non-willful expats but a “citizenship” Lawyer”

The Devil is in the Details When it Comes to the U.S. Exit Tax

reposted from isaac brock society   The Devil is in the Details When it Comes to the U.S. Exit Tax https://t.co/AtPCAdrkNK pic.twitter.com/2RiJ56jbON — Citizenship Taxation (@CitizenshipTax) January 20, 2017 //platform.twitter.com/widgets.js A very   interesting discussionabout the Exit Tax has been taking place at Brock this week. In particular, the comment below from USCitizenAbroad highlights someContinue reading “The Devil is in the Details When it Comes to the U.S. Exit Tax”

The Internal Revenue Code vs. IRS Form 8854: the “noncovered expatriate” and the Form 8854 Balance Sheet

    cross-posted from citizenshipsolutions.ca Introduction: For whom the “Form” tolls … I would not want the job that the IRS has. There are many “information reporting requirements” in the Internal Revenue Code. The IRS has the job (sometimes mandatory “shall” and sometimes permissive “may”) of having to create forms that reflect the intent ofContinue reading “The Internal Revenue Code vs. IRS Form 8854: the “noncovered expatriate” and the Form 8854 Balance Sheet”

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