Amends the Internal Revenue Code to allow employees of a U.S. contractor working in a foreign country to claim the exclusion from gross income for their income earned in such country even if they are required to depart from such country prior to meeting the foreign country residency requirement for such tax exclusion if their departure was a direct result of: (1) a reduction in the number of personnel serving in a combat zone in such country, (2) a termination of the contract under which the U.S. contractor is performing services in such combat zone, or (3) the termination of their employment with the contractor on account of the reduction of personnel or the termination of the contract.
Introduced in House
Introduced in House
Referred to the House Committee on Ways and Means.
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