Tax Policy

Will Congress and the President Finally Act in 2015 to Repeal or Modify U.S. Citizenship Based Taxation?

By · March 8, 2015 · Updated June 3, 2026

U.S. citizenship based taxation has been the law since its origins from the U.S. civil war.  See, The U.S. Civil War is the Origin of U.S. Citizenship Based Taxation on Worldwide Income for Persons Living Outside the U.S. ***Does it still make sense?

Throughout most of the last 100+/- years, there has never beeExpatriates US citizens renounced chart through 2014n a repeal of U.S. citizenship based taxation.  Indeed, it is difficult to locate any legislative proposals from years past (if there were any) that proposed such a modification.

However, it is worth noting the following string of events over the last 18 months, which may indicate U.S. citizenship based tax reform could be possible:

  • For the first time, both political parties and the President have identified issues with the current U.S. citizenship based taxation rules which they have proposed to modify;

This is the first time in my career, where both political parties and the President are at least talking about the possibility of tax reform in this area.

There is one key piece of the legislative puzzle missing from the above picture.  The House has not weighed in on a proposal to modify substantially or repeal U.S. citizenship based taxation.  See, former House Ways and Means Committee Chair Camp’s proposal to modify substantially international tax policy and rules (Making America A More Attractive Place To Hire and Invest:  International Tax Reform).  These House proposals do not include U.S. citizenship based taxation reform.  In addition, I am not aware of any Democrats in the House who are pushing such a reform.

Even if there is approval in both the Senate and with the President (as there has been in other major legislative reform proposal, such as immigration), it is entirely possible the House will block any such U.S. citizenship based tax reform.

Patrick W. Martin

Patrick W. Martin

U.S. International Tax Lawyer · Shareholder, Chamberlain Hrdlicka

Patrick W. Martin is a U.S. tax lawyer licensed in California, Texas, and Washington, D.C., with 32+ years advising on the tax consequences of renouncing U.S. citizenship or abandoning lawful permanent residency. He served as lead counsel in Aroeste v. United States, the landmark federal case on green card holders, tax treaties, and the exit tax. Best Lawyers in America® (Tax Law), 2015–2025.

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