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1 bill on this topic
“Nonresident noncitizens should be taxed only on U.S.-located property, certain people leaving the U.S. tax system should face a one-time 40% wealth tax rate, and Treasury should use foreign-entity and foreign-account information to check for hidden wealth.”
1 bill on this topic
“Covered taxpayers who leave the U.S. tax system would face stricter exit tax treatment, including limits on delaying tax, possible continued covered status for 10 years, and a later deemed sale of remaining property.”
1 bill on this topic
“Trusts, estates, heirs, gifts, charitable donations, and transfers at death connected to very wealthy taxpayers should be handled so appreciated assets do not avoid the high-wealth minimum tax system.”
1 bill on this topic
“Large domestic and foreign trusts connected to ultra-wealthy taxpayers or U.S. beneficiaries should trigger tax when they distribute certain property, make certain beneficiary loans, or pass delayed gains to U.S. beneficiaries.”
1 bill on this topic
“Some trusts should pay the wealth tax directly, some trust assets and gifts to children under 18 should still count as the original taxpayer's wealth, and charitable trust shares should be split between charity interests and private beneficiary interests.”
1 bill on this topic
“Very wealthy people who give up U.S. tax status should lose the option to pay expatriation tax in installments and should face a later deemed sale for some property that remains untaxed after 10 years.”
1 bill on this topic
“Assets in certain trusts should count toward the wealth tax for people who own, fund, or benefit from the trust, while some multi-beneficiary trusts could pay the tax themselves and charitable or retirement trusts would be treated differently.”
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