Code, or section 901 or section 903 of 2025

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Sec. 901(a) allows a credit for foreign taxes paid or deemed paid for foreign income, war profits, and excess profits. Sec. 903 similarly allows a credit for a tax paid in lieu of a tax on income, war profits, or excess profits.
Publication 901 will tell you whether a tax treaty between the United States and a particular country offers a reduced rate of, or possibly a complete exemption from, U.S. income tax for residents of that particular country.
If you qualify for the Foreign Tax Credit, the IRS will give you a tax credit equal to at least part of the taxes you paid to a foreign government. In many cases, they will credit you the entire amount you paid in foreign income taxes, removing any possibility of US double taxation.
The exit tax applies to U.S. citizens and long-term green card holders with a net worth exceeding $2 million or an average annual tax liability over $171,000 during the last five years. Yes, you are still subject to U.S. tax. Your tax obligations end only after your file Form I-407, formally abandoning the Green Card.
IRC section 903 provides that, for purposes of the foreign tax credit and cross-referenced code sections, income, war profits, and excess profits taxes include a tax paid in lieu of a tax on income, war profits, or excess profits otherwise generally imposed by any foreign country or by any possession of the United
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Section 901(m)(1) provides that, in the case of a CAA, the disqualified portion of any foreign income tax determined with respect to the income or gain attributable to relevant foreign assets (RFAs) will not be taken into account in determining the foreign tax credit allowed under section 901(a), and in the case of

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