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This AI generated podcast is based on a SEAT post announcing our latest article published in Tax Notes. The article explains how President Trump’s pledge to end the double taxation of Americans abroad can be achieved by the U.S. waiving it’s “saving clause” rights under the treaty.
https://seatnow.org/2025/10/06/a-simple-and-unilateral-treaty-fix-for-citizenship-taxation-richardson-snyder-and-alpert/
To test your knowledge of the concepts, check out the flashcards at:
https://notebooklm.google.com/notebook/69edd0bf-f0b3-4855-b544-7f93b17485ea?artifactId=906feeb7-4ee8-40c7-b26e-a3edb8112701
Unilateral Treaty Fix for Citizenship Taxation
1 source
The source argues for a unilateral treaty fix to mitigate the effects of U.S. citizenship taxation on Americans living abroad, particularly focusing on how this causes double taxation. The authors contend that the U.S. Treasury can achieve this by simply declining to use the “saving clause” in tax treaties, which currently reserves the U.S.’s right to tax its citizens as residents regardless of treaty provisions. If the Treasury refrains from invoking this clause, U.S. citizens could be treated as “treaty nonresidents” like Green Card holders, allowing them to benefit from the treaty’s residency “tie breaker” rules. This administrative action is proposed as a way for the President to fulfill a pledge to end the double taxation of expats without requiring legislative or formal regulatory changes. The text explains that the current system, supercharged by the saving clause, forces U.S. citizens abroad into dual tax residency, leading to worldwide taxation and complexity, often on non-U.S. source income.
By Ending the double taxation of Americans abroad.This AI generated podcast is based on a SEAT post announcing our latest article published in Tax Notes. The article explains how President Trump’s pledge to end the double taxation of Americans abroad can be achieved by the U.S. waiving it’s “saving clause” rights under the treaty.
https://seatnow.org/2025/10/06/a-simple-and-unilateral-treaty-fix-for-citizenship-taxation-richardson-snyder-and-alpert/
To test your knowledge of the concepts, check out the flashcards at:
https://notebooklm.google.com/notebook/69edd0bf-f0b3-4855-b544-7f93b17485ea?artifactId=906feeb7-4ee8-40c7-b26e-a3edb8112701
Unilateral Treaty Fix for Citizenship Taxation
1 source
The source argues for a unilateral treaty fix to mitigate the effects of U.S. citizenship taxation on Americans living abroad, particularly focusing on how this causes double taxation. The authors contend that the U.S. Treasury can achieve this by simply declining to use the “saving clause” in tax treaties, which currently reserves the U.S.’s right to tax its citizens as residents regardless of treaty provisions. If the Treasury refrains from invoking this clause, U.S. citizens could be treated as “treaty nonresidents” like Green Card holders, allowing them to benefit from the treaty’s residency “tie breaker” rules. This administrative action is proposed as a way for the President to fulfill a pledge to end the double taxation of expats without requiring legislative or formal regulatory changes. The text explains that the current system, supercharged by the saving clause, forces U.S. citizens abroad into dual tax residency, leading to worldwide taxation and complexity, often on non-U.S. source income.