EPISODE · Mar 4, 2026 · 20 MIN
Treaty vs. Tax: Can the U.S. Sidestep International Credits?
from PREP Podcaster - ”Success Favours The PREPared Mind” · host prep
March 4, 2026 - AI Generated podcast based on my X Space with Tim Smyth. "Deep dive into two appeals heard March 3, 2026, at the U.S. Court of Appeals for the Federal Circuit challenging whether the Net Investment Income Tax (NIIT) can be offset by foreign tax credits despite a domestic statute that separates the NIIT from Chapter 1 credits. Using firsthand notes from courtroom observers, this episode explains the legal conflict between U.S. domestic tax placement and international tax treaties, contrasting lower-court rulings in Bruyea (Canada) and Christensen (France), and outlines the broader implications for U.S. citizens living abroad and for treaty enforcement."
What this episode covers
March 4, 2026 - AI Generated podcast based on my X Space with Tim Smyth. "Deep dive into two appeals heard March 3, 2026, at the U.S. Court of Appeals for the Federal Circuit challenging whether the Net Investment Income Tax (NIIT) can be offset by foreign tax credits despite a domestic statute that separates the NIIT from Chapter 1 credits. Using firsthand notes from courtroom observers, this episode explains the legal conflict between U.S. domestic tax placement and international tax treaties, contrasting lower-court rulings in Bruyea (Canada) and Christensen (France), and outlines the broader implications for U.S. citizens living abroad and for treaty enforcement."
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Treaty vs. Tax: Can the U.S. Sidestep International Credits?
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