Renuciation clarification
Moderator: Mark T Serbinski CA CPA
Renuciation clarification
A point of clarification please ... if a US citizen renounces American citizenship but is below the threshold for the "exit tax" are there any further complications with tax-deferred accounts like RRSPs, pensions, or Section 1291 PFICs (for which "excess distributions" treatment applies when sold)? Or does the renunciation eliminate any further IRS claim on such accounts?