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Tax Session for American citizens from the Embassy and American Chamber of Commerce


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17 hours ago, Guavaman said:

According to the DTA, Thailand has priority in collecting tax from your IRA distributions. 

 

True for non US citizens non residents who file 1040NR.

Not for US citizens who file 1040, who are taxed as US residents disregard of where they may live the entire tax year.

Edited by Thailand J
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13 minutes ago, Thailand J said:

Not for US citizens who file 1040, who are taxed as US residents disregard of where they may live the entire tax year.

Replace "Switzerland" with "Thailand" in this analysis by the IRS.

 

U.S. tax law says that a U.S. citizen — no matter where he/she lives — will be taxable on worldwide income. But if you’re a U.S. citizen living in Switzerland you’re taxable as a resident there. Both country wants to tax you. Which country gets first crack at you when you take a distribution from your Individual Retirement Account? Survey says? Switzerland. Switzerland gets the right to tax the distribution from your IRA, and the United States will give you a tax credit for the Swiss income tax you pay. Just to be clear:  if you’re a U.S. citizen living in Switzerland, you pay the Swiss income tax on the distribution.  Then you also report the distribution on your Form 1040 that you have to file every year with the Internal Revenue Service because you’re a citizen.  You claim the foreign tax credit on Form 1116.  Since all of this is happening by way of the income tax treaty between the United States and Switzerland, you attach Form 8833 to your Form 1040, making the relevant elections to invoke the treaty provisions to protect you from the IRS. Here is a recent analysis of the law by the Internal Revenue Service.

 

https://hodgen.com/ira-distribution-to-u-s-citizen-living-in-switzerland-which-country-taxes-it/

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every tax treaty is different. Different income different rates etc.

You can't replace a country name and make an arguement.

as of today thai tax law tax no IRA benefits remitted the year after.

and with 162/2566 it's a complete different game.

 

Does Swits has the exact same DTA with US as Thai?

Does  Swiss has the same tax rules regarding foreign incomes as Thai?

 

Edited by Thailand J
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40 minutes ago, Thailand J said:

Does Swits has the exact same DTA with US as Thai?

US- SWITZERLAND CONVENTION

US-THAILAND CONVENTION

The Treasury Department's 1997 Technical Explanation ("TE") to Article 18 explains, in relevant part:

 

 Paragraph 1 provides that private pensions and other similar remuneration derived and beneficially owned by a resident of a Contracting State in consideration of past employment are taxable only in the State of residence of the recipient.

The Treasury Department's 1996 Technical Explanation ("TE") to Article 20 explains, in relevant part:

 

Paragraph 1 provides that private pensions and other similar remuneration paid in

consideration of past employment are generally taxable only in the residence State of the recipient.

 

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13 minutes ago, Guavaman said:

 

 

7 minutes ago, Thailand J said:

Please lets stay with Thai-US tax can we?

US- THAILAND CONVENTION

The Treasury Department's 1996 Technical Explanation ("TE") to Article 20 explains, in relevant part:

Paragraph 1 provides that private pensions and other similar remuneration paid in consideration of past employment are generally taxable only in the residence State of the recipient.

 

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US taxes IRA distribution if you are a US citizen.

If there is another state that is able to and actually does impose  tax on the the same distribution then there will be an arrangement such as tax credit.

so far it has not happen with US -Thai tax where US IRA is taxed in Thai.

I am not sure why you try so hard.

Open your eyes, non of us here who stay in Thailand ever paid Thai tax on our IRA distributions.

 

 

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52 minutes ago, Thailand J said:

Open your eyes, non of us here who stay in Thailand ever paid Thai tax on our IRA distributions.

You are speaking on behalf of all American tax residents in Thailand when you say: "None of us." 

 

The future might not look like the past. 

 

The RD is providing hints about what the future may look like. It remains to be experienced.

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 US citizens are taxed as US residents using the same tax form as the residents : IRS Form 1040. Foreign income is reported on form 2555 attached to form 1040. This is going to be the same in the future unless there is a  a major policy change in US which I see no hints of happening.

 

Edited by Thailand J
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20 hours ago, Thailand J said:

swiss actually tax US income but Thai so far has not.

 

....'cause the Swiss tax US IRAs as income, not as REMITTED ONLY income. Wait 'til Thailand does away with the remittance aspect, then you'll see that the US tax treaty with Thailand, and with Switzerland, are near identical -- and definitely identical in how IRAs are treated. Guavaman has done an excellent presentation on how this works. Suggest you re-read.

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10 hours ago, Thailand J said:

US citizens are taxed as [the same as] US residents using the same tax form as the residents : IRS Form 1040. Foreign income is reported on form 2555 attached to form 1040.

 

Yes, US citizens are taxed on worldwide income, and thus are treated as if they're residents of the US (and, yeah, file Form 1040, same as a real US resident). But, if they live here in Thailand for over 180 days, they're tax residents of Thailand, as far as the DTA is concerned. And this gives Thailand 'first dibs' on certain income -- but such income is still subject to US taxation, per the saving clause -- with credits avoiding double taxation.

 

As far as the Form 2555 is concerned, this deals only with foreign earned income. It has nothing to do with how US income is dealt with by the Thais, per the DTA, which is what all these latest threads are about. Sure, it's nice to know, if you work full time here in Thailand, how to avoid declaring your Thai income on your US tax return (Form 2555). But that's not what this discussion is about.

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