Posts by ftsig-admin
Copilot: Is the income tax a DIRECT tax or an INDIRECT tax?
QUESTION 1: Does an election surrender the protections of the constitution under the Public Rights Doctrine and the Constitutional Avoidance Doctrine in the context of the civil statutory status that results from the election? For instance, if I elect “effectively connected” status in 26 U.S.C. 864, do I surrender the protection of the constitutional definition…
Read MoreCopilot: How does an “national of the United States” under 8 U.S.C. 1101(a)(22) become a “foreign person”?
EDITORIAL: The more absurd this all gets with equivocation and conflation, the more obvious it should be to the casual observer that they are hiding the truth. The casual observer is a “deer in the headlights” They don’t stand a chance. You need a phd in deception to catch these bastards! They probably have a…
Read MoreCopilot: FDAP under 26 U.S.C. 871(a)(1) is a tax on gross receipts and not profit. Does that mean it doesn’t apply to people residing within states of the Union and protected by the Constitution?
EDITORIAL: To summarize the approach to nonresident alien taxation on this website: It seems that the latitude Congress is given in Sixteenth Amendment varies depending on activity or recipient. It could be from: Social Security under 26 U.S.C. 871(a)(3) fits in EITHER 3 or 4 above, depending on where you are from. For a nonresident…
Read MoreCopilot: “nonresident alien” fiction is domiciled in the District of Columbia and “U.S. sources” means District of Columbia Sources
EDITORIAL: This article establishes why domicile is ALWAYS important. Even in federal taxation, even though domicile is never even mentioned in I.R.C. Subtitles A and C. Domicile can NEVER be ignored or it will cloud or equivocate the origin of the jurisdiction of the taxing authority. ALL civil jurisdiction originates from it, and taxing authority…
Read MorePROOF OF FACTS: Taxation of Intangibles is at the domicile of the owner by default
EDITORIAL: While mobilia sequuntur personam remains a guiding principle, the Court has also recognized that intangibles may acquire a commercial situs in another jurisdiction, allowing taxation beyond the owner’s domicile The power of the State of a man’s domicil to impose a tax upon the succession to, or the transfer of, his intangible property, even…
Read MoreFAQ: What specific provision and status in the I.R.C. actually implements CONSTITUTIONAL/Sixteenth Amendment “income” as PROFIT instead of GROSS RECEIPTS?
QUESTION: You allege in the following article that CONSTITUTIONAL/Sixteenth Amendment “income” is always on profit and not “gross receipts”. Catalog of Elections and Entity Types in the Internal Revenue Code, Section 8: Entering anything but PROFIT as “income” or “effectively connected” income on a tax return, FTSIGhttps://ftsig.org/catalog-of-elections-in-the-internal-revenue-code/#7._Entering Precisely what status within the I.R.C. and what…
Read MoreFAQ: You state that American Nationals residing within the protections of the Constitution have to make an election before they can have taxable income under I.R.C. 871. What if they receive “income” from those who are privileged?
QUESTION: You state in the following that American Nationals residing within the protections of the Constitution have to make an election before they can have taxable income under I.R.C. 871: Catalog of Elections and Entity Types in the Internal Revenue CodeSection 7: Entering anything but PROFIT as “income” or “effectively connected” income on a tax…
Read MoreDEFINITIONS: “Privilege”
Fourteenth Amendment Annotations: “Privileges and Immunities Clause” Commentary-Findlaw Confucius“The more you want, the more the world can hurt you.” Center for Special Needs Trust Administration v. Olson, No. 1:09-cv-072, at *16 (D.N.D. Apr. 25, 2011) “A person may waive the rights and privileges to which that person is legally entitled, whether secured by contract, conferred…
Read MoreCopilot: American nationals are not “foreign persons” for the purpose of I.R.C. Chapter 3 “foreign person” withholding in 26 U.S.C. 1441 and 26 C.F.R. 1.1441-1
EDITORIAL COMMENT: This dialog contains equivocation surrounding whether “U.S. national” is a nonresident alien so it fails the “law of noncontradiction” so it can’t be entirely true. See in Question 7: But crucially, “nonresident alien” is defined by reference to 26 U.S.C. § 7701(b)(1)(B), which—when read in light of 8 U.S.C. § 1101(a)(3)—excludes U.S. nationals, because they are not aliens.…
Read MoreDEFINITIONS: “Civil status”
Acquiring a Civil Status (Important!) -FTSIG Civil Status (Important!) (OFFSITE LINK)-SEDM Your Exclusive Right to Declare and Establish Your Civil Status, Form #13.008 (OFFSITE LINK)-SEDM Why Domicile and Becoming a “Taxpayer” Require Your Consent, Form #05.002 (OFFSITE LINK)-civil domicile is the origin of civil status Capitis Diminutio CAPITIS DIMINUTIO. In Roman law. A dimin ishing or abridgment of personality;…
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