U.S.

Renouncing U.S. Citizenship? Are you subject to Exit tax?

Renouncing U.S. citizenship or giving up long-term residency is not only a personal milestone—it’s a complex financial event with major tax consequences. The U.S. exit tax, under IRC Sec. 877A, treats covered expatriates as if they’ve sold all their worldwide assets the day before expatriation, taxing unrealized gains. The rules apply to individuals who meet

By |2025-07-02T03:41:14+00:00July 7th, 2025|Categories: Financial Education, Individuals|Tags: , , , , , , , , |

More notice of deficiencies in circulation and potential last resort, U.S. Tax Court

Over the summer and until now, we have observed a higher number of Notices of Deficiencies from the IRS in forums, colleagues discussions and through clients' consultations. This trend seems in line with other tax authorities at the State and Local levels (i.e. Philadelphia) were they put on hold the automatic notices and some collection

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