▲ | LadyCailin 6 days ago | ||||||||||||||||
I know of at least 4 countries that have exit taxes, and while the US doesn’t have an exit tax if you simply move abroad (it does if you renounce citizenship) it has other very punitive taxes for expats. So, it isn’t a unique thing to Germany or, assuming you’re correct, China. | |||||||||||||||||
▲ | blitzar 5 days ago | parent | next [-] | ||||||||||||||||
> US doesn’t have an exit tax if you simply move abroad The US doesnt have an exit tax because, for the purpose of taxation, you can't leave. | |||||||||||||||||
▲ | knorker 6 days ago | parent | prev | next [-] | ||||||||||||||||
It should be added that the US taxes you worldwide even after you leave, so I would file the US as even worse in this regard. In that they tax you when you stop being tax "resident", just like the others. | |||||||||||||||||
▲ | piker 6 days ago | parent | prev [-] | ||||||||||||||||
It's not that it has punitive taxes for expats, it's just that as a US citizen, the US doesn't care where you live -- you're subject to US tax. It has rules for everyone that prohibit deferring income taxes which implicate non-US tax-opaque entities, but that's not so much of a capital gains concern as a timing issue. It's much simpler in many ways, although it creates its own issues with juggling tax treaties and realization timing. Forcing you to pay a tax on unrealized gains is anathema to the US system, and would definitely burden founders to the extent they'd be well advised not to form in that jurisdiction in the first place. | |||||||||||||||||
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