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France and the United States have been allies since the US Revolutionary War. Recently, the US hasn't been so friendly...at least on one front. With the imposition of the Foreign Account Tax Compliance Act (FATCA), the IRS has created massive regulatory burdens on foreign banks, including those in France. Additionally, FATCA has made life difficult for US expats in France, and also has sprung difficulties on French immigrants to the US, who unwittingly became US persons and now all their income --- including income from assets and investments in France, is subject to the universal tax jurisdiction of the United States. We are experts at dealing with the law, and remove all the compliance risks for our clients that we can.
The US-French tax treaty provides some relief from double taxation. However, it does not help eliminate a very common issue we encounter with Assurance vie. Literally, "Assurance vie" translates as life insurance. However, the US tax code does not treat it as life insurance, so it is taxed on income it earns each year. Worse, it is treated as a passive foreign investment company, which involves onerous accounting work and a less favorable tax treatment.
In France, resident taxpayers are taxed on their worldwide income. However, non-resident taxpayers are taxed only on income received in France or on income arising in France.
The US taxes its persons on a worldwide basis. So what you earn in France, even if it is taxed by the French taxing authority, is subject to additional taxes by the IRS. This is true even if you have a "tax-free" account in France. However, you are entitled to a credit for taxes paid. In the alternative, there is a foreign income exclusion which will exempt a portion of your income from income taxes.
If you are a Green Card holder you are subject to universal taxing jurisdiction on all your income, anywhere in the world. If you are a visa holder the rules are a bit more complicated about when universal taxing jurisdiction is triggered.
Citizens and residents living and working outside the U.S. may be entitled to a foreign earned income exclusion that reduces taxable income. In addition, you may exclude housing expenses, but with limits. There are limits and special rules about who qualifies for the exclusion, and we can help you understand if you qualify.
This is a non-refundable tax credit for income taxes paid to a foreign government as a result of foreign income tax withholdings. The foreign tax credit is available to anyone who either worked in a foreign country or has investment income from a foreign source. There are qualifying factors, and we can help you understand if you are eligible to tax advantage of this credit. There is currently a dispute over whether or not social security taxes paid in France count towards the foreign tax credit. See Eshel v. Commissioner.
If you have made a mistake in previous IRS tax filings, or haven't filed at all, we can help. We are the nation's premier offshore disclosure firm. We have helped thousands of French-Americans and others from around the globe properly disclose to the IRS. We can help you too. Click here to visit our Offshore Disclosure summary page.
If you would like to speak to us regarding any of these issues, contact us to schedule a consultation at 888-727-8796 or email firstname.lastname@example.org.