U.S.
Taxation of
Nonresident
Aliens
and
Expatriates
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This chapter of the Offshore Tax Manual
is an explanation of the U.S. tax rules applicable to foreign persons
with U.S. source income and to U.S. former citizens and long term
residents, including an explanation of the kinds of income and assets
that can continue to be taxed by the U.S. for up to ten years after
expatriating.
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Offshore
Tax Manual Part 4
- Tax Rules
for Non-Resident Aliens and Expatriates
- How the U.S. is a Tax Haven for Foreign
Persons
- Exemption for Interest from U.S. Debt or
Debt of U.S. Banks or Similar Entities
- Exemption for Interest from Portfolio
Debt
- Exemption for Gains on U.S.
Securities
- Withholding Rate for Treaty Country
Residents
- General Tax Rules for Non-Resident Alien
Individuals (IRC § 871)
- Citizenship, Residence and Domicile
- Tax on U.S. Source Earned Income by
Individuals
- Tax on Trade or Business Income in the
U.S.
- Tax on Income from U.S. Based Real
Property
- Tax on Fixed or Determinable Annual or
Periodical Income (FDAPI)
- Tax on Non-Exempt U.S. Interest &
Dividends
- Tax on U.S. Source Rents or
Royalties
- Other Examples of FDAPI
- Estate and Gift Tax on U.S. Source
Property
- Worldwide Taxation of U.S. Citizens &
Residents
- Prior Rules for Tax Motivated
Expatriation
- Tax Motivated Expatriation
- The Ten-Year Tax on Tax Motivated
Expatriates
- Income Items Subject to the Ten-Year
Income Tax
- Assets Subject to the Ten-Year Estate and
Gift Tax
- Comparison of Tax on NRA and Tax on
Expatriates
- Uncertainty Regarding Ability of
"Taxpatriates" to Return to the U.S.
- The Expatriation "Two-Step"
- Corporate Expatriation
U.S. Source Withholding
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Offshore Press -- Your objective
resource for global financial planning
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Chapter Five
The Offshore Tax Manual
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