We are here to help with U.S. expat tax filings. We are experts in the U.S. tax code, tax compliance, FBAR, FATCA, late filings, and other complex issues.
In this blog, we review the #tax and reporting implications of abandoning one’s #greencard, and include a helpful case study. We then describe how our firm can help you through the process
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In this blog, we compare the capital gain exclusions in the United States and the United Kingdom that are available for #taxpayers selling a personal #residence.
https://t.co/rrkO5Lyoby
In this blog, we compare the major #tax amnesty programs in the United States and the United Kingdom for #taxpayers with #offshore income and assets.
https://t.co/nSW4K8yNsA
In this week's blog, we do a comprehensive overview of 6 key changes to the international #tax rules under the 2025 OBBBA tax #reform legislation.
https://t.co/dmTv2VeSii
In this blog, we review 2026 tax year annual #Inflation adjustments for a number of #tax provisions, including tax rate schedules and other tax changes.
https://t.co/yZfTlK7571
In this blog, we explore three "gotcha" rules designed to thwart those who try to alternate between #tax residencies in order to avoid U.S. taxation.
https://t.co/Ewfxg9r5KZ
In this blog, we review 4 approaches taken in US income #tax treaties regarding the taxation of foreign social security paid to US citizens living #abroad.
https://t.co/vQK5wWbRtx
In this week's blog, we describe 6 key ways in which estate #tax#treaties can benefit non-US persons holding significant US #property.
https://t.co/dpVtSety69
In this week's blog, we discuss how #greencard abandoners can utilize the provisions of an income #tax treaty to avoid the exit tax.
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Tax efficiency can be tricky for U.S. #expats, because multiple taxing authorities will most likely play a part in how you and your #business are taxed.
How to reduce your overall U.S. tax burden - https://t.co/B1zMeSy115
In this week’s blog, we review a case representing a major win for #taxpayers, in which the U.S. Court of Federal Claims allowed the provisions of a #tax treaty to be used to allow a foreign #taxcredit to offset the net investment income tax.
https://t.co/RdtaQwyMKg
The #IRS will end its practice of automatically assessing #penalties for late-filed Forms 3520 and 3520-A. In this blog, we analyze the ramifications of this policy change for U.S. citizens living #abroad.
https://t.co/pjRFeMfNBH
In this week’s blog, we discuss a recent Supreme #Court decision upholding the constitutionality of the Section 965 transition #tax, and the impact the decision could have on current filers, particularly those catching up using the #Streamlined Procedures.
https://t.co/HaAwXIl3QY
In this week’s blog, we review the D.C. Circuits Court’s reversal of the Farhy decision, a surprising #case from last year holding that the #IRS lacks the statutory authority to assess certain #international return penalties.
https://t.co/gI5eP9faun
In this week’s blog, we review the U.S. #tax rules for #expats relating to the payment of #alimony, both from a domestic law and a treaty law perspective.
https://t.co/4IqYScuwps