EPISODE · Feb 11, 2026 · 17 MIN
Tax Treaty vs. Tax Code: Can the IRS Ignore Its Tax Treaty Promise?
from PREP Podcaster - ”Success Favours The PREPared Mind” · host prep
February 6, 2026 - Participants include: Dr. Suzanne deTrevile - @SdeTreville Tim Smyth - @TpSmyth01 Brent Vanderbrook - @Vanderbrook John Richardson @ExpatriationLaw https://citizenshipsolutions.ca/2026/01/09/bonjour-part-6-rosenbloom-and-shaheen-brief-in-support-of-bruyea/ AI Description: "This episode examines the legal battle over the Net Investment Income Tax (NIIT) and whether the IRS can deny foreign tax credits by placing the tax in a different chapter of the Internal Revenue Code. It walks through the Christensen (France) and Bruyea (Canada) cases, the treaty-language arguments, and the upcoming March 3, 2026 appeal. Experts explain why the dispute matters beyond a small revenue amount: it could determine whether U.S. domestic technicalities can override treaty obligations, affecting expats, major corporate taxes, and the credibility of U.S. treaty commitments."
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Tax Treaty vs. Tax Code: Can the IRS Ignore Its Tax Treaty Promise?
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