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Archive for May, 2014

Expatriation – What Happens to the “Principal Residence?”

By Virginia La Torre Jeker J.D., - Monday, May 26, 2014

Certain individuals who give up their US citizenship or their green cards are subject to the so-called ”Exit Tax” imposed under Section 877A of the Internal Revenue Code.  Under the so-called… Read more…

Americans Abroad – Selling the Principal Residence

By Virginia La Torre Jeker J.D., - Monday, May 19, 2014

When it comes to considering gross income for tax purposes, Section 121 of the US Internal Revenue Code allows for the exclusion of up to $250,000 in gains arising from the… Read more…

Dividends from Foreign Corporations Part III – “Controlled Foreign Corporations”

By Virginia La Torre Jeker J.D., - Monday, May 12, 2014

As will be recalled from the previous blog posting that discussed so-called “Controlled Foreign Corporations” (CFC), a United States shareholder of a CFC can possibly be treated as having received “dividend”… Read more…

Dividends from Foreign Corporations Part II – “Controlled Foreign Corporations”

By Virginia La Torre Jeker J.D., - Monday, May 5, 2014

As detailed in my last blog posting, “qualified dividend income” is taxed at beneficial lower tax rates and can be received from both domestic (US) corporations and certain “qualified” foreign… Read more…

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An up-to-date look at US tax laws for American Expats, foreign investors into the US market or other foreign persons having any US connections. More Info

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