“More Americans ditch their passports”

CNN Money on November 14, 2013 released the following:

By Lynnley Browning

“FORTUNE — Time to dump your American passport — and with it, presumably, your bothersome U.S. tax bill. The reason, international tax lawyers say, may have less to do with offshore tax evasion and more with a new generation of sophisticated — and legal — tax planning.

This year will enter the record books with the highest number of expatriations ever by U.S. citizens, according to new government figures released Wednesday. Even rock star Tina Turner, a long-time resident of Switzerland who got a full Swiss passport last April, is on track to relinquish her U.S. ties, her spokeswoman said.

Some 560 Americans joined the exodus in the third quarter of this year, putting the total number so far this year at 2,369, according to Treasury Department data published by the Federal Register. That is already 33% more than the 1,781 who left in all of 2011, the previous record.

While the number of people who gave up their little blue books in the first six months of this year had already edged out the 2011 record by a hair, the recent figures firmly cement the trend.

Ditching a passport can save an American lots of money in taxes. The reason: The U.S., along with Eritrea, is one of only two countries in the world to tax its citizens on their worldwide income, regardless of where they live or work. If you reside in, say, Geneva, you still owe the U.S. tax man money on income you earn there.

Turner’s name — her birth name is Anna Mae Bullock — does not appear on the most recent Federal Register list. But Karin Rhomberg, a spokeswoman for Turner, confirmed in an email that the “Private Dancer” and “Simply the Best” singer was on track to relinquish her U.S. passport.

Turner acquired a full Swiss passport last April, Rhomberg said. At 73, the singer, who was born in Nutbush, Tenn., lives in Kussnacht, a wealthy enclave near Zurich, with her German-born husband.

The expatriation trend has grown by leaps and bounds in recent years amid a widening U.S. crackdown on offshore tax evasion through Swiss and Swiss-style banks. Even the U.S. Embassy in Bern has a “renunciations” tab on its website.

Many of those who dump their passports have dual citizenships in other countries, such as Switzerland or Canada, immigration lawyers say. But increasingly, an onerous new U.S. Treasury rule known as Fatca is prompting smaller and mid-sized foreign banks in countries where Americans live and work to dump their American clients.

The rule, which goes into effect next July, requires foreign banks to identify and scrutinize Americans with accounts containing at least $50,000 and either report those accounts to U.S. tax authorities or withhold 30% of dividends, interest, and other payments and send that money to the U.S. Treasury. The law, widely hated by Americans living and working abroad, has made it tough to do simple financial things abroad.

“Local banks don’t like dealing with Americans, so it makes it harder for Americans abroad to live normal lives,” said Phil Hodgen, an international tax lawyer in Pasadena, Calif. Marylouise Serrato, the executive director of American Citizens Abroad, a Geneva-based lobby for expats, said recently in an email that “individuals with legitimate need of banking services will be locked out” of many foreign countries.

One new trend has emerged: U.S. passport renunciations by dual nationals who build family businesses in other countries that do not have estate taxes.

“Americans are realizing that their businesses are likely to be torn apart by the U.S. estate tax even if that business never touched the U.S.,” Hodgen said, citing as an example a dual citizen who owns a construction company in Saudi Arabia. An owner who wants to pass his company on to his heirs will also sock them with a 40% estate-tax bill, due to his U.S. citizenship.

“You’re going to see tons of people waking up to this,” Hodgen said.”

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Douglas McNabb – McNabb Associates, P.C.’s
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Douglas McNabb and other members of the U.S. law firm practice and write and/or report extensively on matters involving Federal Criminal Defense, INTERPOL Red Notice Removal, International Extradition Defense, OFAC SDN Sanctions Removal, International Criminal Court Defense, and US Seizure of Non-Resident, Foreign-Owned Assets. Because we have experience dealing with INTERPOL, our firm understands the inter-relationship that INTERPOL’s “Red Notice” brings to this equation.

The author of this blog is Douglas C. McNabb. Please feel free to contact him directly at mcnabb@mcnabbassociates.com or at one of the offices listed above.

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