PREP Podcaster - ”Success Favours The PREPared Mind”
News:News Commentary
December 18, 2022 - Participants include:
Tim Smyth - @Tpsmyth01
John Richardson - @Expatriationlaw
This spells trouble!!
_______________________________________________
The text of the treaty document can be found at: https://home.treasury.gov/system/files/131/Treaty-Croatia-12-7-2022.pdf
Treaty-Croatia-12-7-2022
Of particular note in Treasury’s announcement is:
“The Treasury Department is pleased to conclude this new tax treaty with Croatia. It is the first comprehensive tax treaty that the United States has signed in over ten years and reflects our current tax treaty policies and is a milestone in the Treasury’s efforts to expand the U.S. tax treaty network. We appreciate the collaboration Croatia showed throughout the negotiations,” said Lily Batchelder, Assistant Secretary (Tax Policy).
The new tax treaty closely follows the U.S. Model income tax treaty.
Treasury’s announcement focuses on the mutually beneficial aspects of the US Croatia tax treaty. Notably Treasury’s announcement fails to comment on the inclusion of the enhanced “saving clause” which is identical to the following provisions in the US Croatia tax treaty.
4. Except to the extent provided in paragraph 5 of this Article, this Convention shall not affect the taxation by a Contracting State of its residents (as determined under Article 4 (Resident)) and its citizens. Notwithstanding the other provisions of this Convention, a former citizen or former long-term resident of a Contracting State may be taxed in accordance with the laws of that Contracting State.
5. The provisions of paragraph 4 of this Article shall not affect:
a) the benefits conferred by a Contracting State under paragraph 3 of Article 7 (Business Profits), paragraph 2 of Article 9 (Associated Enterprises), paragraph 7 of Article 13 (Gains), subparagraph (b) of paragraph 1, paragraphs 2, 3 and 6 of Article 17 (Pensions, Social Security, Annuities, Alimony and Child Support), paragraph 3 of Article 18 (Contributions to Pension Funds), and Articles 23 (Relief From Double Taxation), 24 (Non-Discrimination) and 25 (Mutual Agreement Procedure); and
b) the benefits conferred by a Contracting State under paragraph 1 of Article 18 (Contributions to Pension Funds), and Articles 19 (Government Service), 20 (Students and Trainees) and 27 (Members of Diplomatic Missions and Consular Posts), upon individuals who are neither citizens of, nor have been admitted for permanent residence in, that Contracting State.
This represents a significant expansion of the “saving clause” to allow the US to impose US taxation NOT only on its” residents (as determined under Article 4 (Resident)) and its citizens” but also on “a former citizen or former long-term resident” which may are permitted to be subjected to any relevant future provisions of the Internal Revenue Code.
From the perspective of Croatia, the “saving clause” found in Paragraph 4 of Article 1 means:
4. Except to the extent provided in paragraph 5 of this Article, this Treaty shall not affect the taxation by the United States of its residents (as determined under Article 4 (Resident)) and residents of Croatia who happen to be US citizens. Notwithstanding the other provisions of this Convention, a former US citizen or former long-term US Green Card holder who is a resident of Croatia may be taxed by the United States according to the Internal Revenue Code.
Exploring the New US DS-4079 Expatriation Form with Lawyer Diane Gelon
The New Era of U.S. Expatriation: Navigating Changes in Form DS-4079 - Virginia La Torre Jeker
Is France Really Proposing Citizenship Taxation? A Discussion With @PatienceIsAlpha
Navigating Tax Challenges for Americans Abroad: A Conversation with Rebecca Lammers
IRS Eases Penalty Policy on Late Foreign Gift Reporting
Navigating the Complexities of U.S. Green Card Holders: Risks and Responsibilities (and entering the USA)
Navigating Second Citizenship and U.S. Taxation: A Conversation with @TheJerzWay
Taxation Without Borders: The Republicans Overseas Proposal To End Citizenship-Based Taxation
Trump’s Proposal To End Double Taxation Of Americans Abroad Discussed By Tax Academics
Ending Double Taxation of Americans Abroad: A Conversation with Solomon Yu on the Future of Citizenship Taxation for Americans Abroad
The Tax Trap: Navigating U.S. Taxation for Americans Abroad
The Landmark FBAR Penalty Decision In Schwarzbaum: A Win for Taxpayers
Anthony Parent Shares His Insights On: Navigating the Maze of PFICs And Other U.S. Tax Regulations for Expats
The Difficult And Troubled Relationship That The "Democrats Abroad" Organization Has With Americans Abroad
What US Citizenship Taxation Really Is - The Republicans Overseas Proposal To End It
The Dual Citizenship From Birth Exemption And Accidental Americans
Treasury Hearing August 21, 2024: Simplifying Foreign Trust Regulations: Voices from Abroad
Navigating Departure Tax, Tax Residency and Leaving Canada
Birthday Reflections: Celebrating Coach Coutt's Journey
Navigating Retirement Abroad: Understanding Tax Implications For "Retirees Abroad"
Create your
podcast in
minutes
It is Free
The Tucker Carlson Show
The Matt Walsh Show
The Glenn Beck Program
The Michael Knowles Show
Mark Levin Podcast