Publication 570
taxmap/pubs/p570-004.htm#en_us_publink1000221188If you are moving to or from a possession during the year, you
may still be able to meet the tax home and closer connection tests for that
year.
taxmap/pubs/p570-004.htm#en_us_publink1000221189You will satisfy the tax home and closer connection tests in
the tax year of changing your residence to the relevant possession if you meet
all of the following.
- You have not been a bona fide resident of the relevant possession
in any of the 3 tax years immediately preceding your move.
- In the year of the move, you do not have a tax home outside
the relevant possession or a closer connection to the United States or a foreign
country than to the relevant possession during any of the last 183 days of the
tax year.
- You are a bona fide resident of the relevant possession for
each of the 3 tax years immediately following your move.
taxmap/pubs/p570-004.htm#en_us_publink1000221190Dwight Wood, a U.S. citizen, files returns on a calendar year
basis. He lived in the United States from January 2005 through May 2010. In June
2010, he moved to the USVI, purchased a house, and accepted a permanent job with
a local employer. From July 1 through December 31, 2010 (more than 183 days),
Dwight's principal place of business was in the USVI and, during that time, he
did not have a closer connection to the United States or a foreign country than
to the USVI. If he is a bona fide resident of the USVI during all of 2011
through 2013, he will satisfy the tax home and closer connection tests for 2010.
If Dwight also satisfies the presence test in 2010, he will be considered a bona
fide resident of the USVI for the entire 2010 tax year.
taxmap/pubs/p570-004.htm#en_us_publink1000221191In the year you cease to be a bona fide resident of American
Samoa, the CNMI, Guam, or the USVI, you will satisfy the tax home and closer
connection tests with respect to the relevant possession if you meet all of the
following.
- You have been a bona fide resident of the relevant possession
for each of the 3 tax years immediately preceding your change of residence.
- In the year of the move, you do not have a tax home outside
the relevant possession or a closer connection to the United States or a foreign
country than to the relevant possession during any of the first 183 days of the
tax year.
- You are not a bona fide resident of the relevant possession
for any of the 3 tax years immediately following your move.
taxmap/pubs/p570-004.htm#en_us_publink1000221192Jean Aspen, a U.S. citizen, files returns on a calendar year
basis. From January 2007 through December 2009, Jean was a bona fide resident of
American Samoa. Jean continued to live there until September 6, 2010, when she
accepted new employment and moved to Hawaii. Jean's principal place of business
from January 1 through September 5, 2010 (more than 183 days), was in American
Samoa, and during that period Jean did not have a closer connection to the
United States or a foreign country than to American Samoa. If Jean continues to
live and work in Hawaii for the rest of 2010 and throughout years 2011 through
2013, she will satisfy the tax home and closer connection tests for 2010 with
respect to American Samoa. If Jean also satisfies the presence test in 2010, she
will be considered a bona fide resident for the entire 2010 tax year.
taxmap/pubs/p570-004.htm#en_us_publink1000221193You will be considered a bona fide resident of Puerto Rico for
the part of the tax year preceding the date on which you move if you:
- Are a U.S. citizen,
- Are a bona fide resident of Puerto Rico for at least 2 tax
years immediately preceding the tax year of the move,
- Cease to be a bona fide resident of Puerto Rico during the
tax year,
- Cease to have a tax home in Puerto Rico during the tax year,
and
- Have a closer connection to Puerto Rico than to the United
States or a foreign country throughout the part of the tax year preceding the
date on which you cease to have a tax home in Puerto Rico.
taxmap/pubs/p570-004.htm#en_us_publink1000221194Randy White, a U.S. citizen, files returns on a calendar year
basis. For all of 2008 and 2009, Randy was a bona fide resident of Puerto Rico.
From January through April 2010, Randy continued to reside and maintain his
principal place of business in and closer connection to Puerto Rico. On May 5,
2010, Randy moved and changed his tax home to Nevada. Later that year he
established a closer connection to the United States than to Puerto Rico. Randy
did not satisfy the presence test for 2010 with respect to Puerto Rico, nor the
tax home or closer connection tests. However, because Randy was a bona fide
resident of Puerto Rico for at least 2 tax years before he moved to Nevada in
2010, he was a bona fide resident of Puerto Rico from January 1 through May 4,
2010.