I've always used FEIE (for 20+ years!!), but I am thinking of revoking that this year and using FTC..........
I see no one has responded so I'll try to help, but for the non-professionals, we're into very iffy territory. I'm afraid my contribution will be of limited use to you.
First, the normal response on whether to use FEIE or FTC is try it both ways for your unique situation (everyone's situation is unique) and see which works best. For your questions, repeating that simple mantra will not be enough.
3. Can I include some employer contributions but not all to soak up the extra tax credits rather than rolling them over???
Simple,....I don't know! Since "employer contributions" is a separate category (along with growth in the plan and employee contributions), my guess would be no, it's either all or nothing. My guess could be wrong.
I am also interested in the idea of allowing a 'basis to build up' which as I understand it would allow me at some later date when I draw the pension to say I have paid tax on $X of pension contributions previously.......... Can you build up the basis using FEIE or no because the income is essentially excluded in tax?
Sorry, but I have to start with the best article I know of which explains foreign pension plans. In this case, we need:
Employees' trust: If a pension plan is more than 50% funded by the employer and the plan does not favor highly compensated employees, the foreign pension is considered a nonexempt employees' trust and governed by Sec. 402(b). [bold mine]
https://www.thetaxadviser.com/issues/2020/may/foreign-pension-plans-us-uk-tax-treaty.htmlTwo things: this assumes your employer contributes more than 50%, and does the Treaty somehow alter this. As for the last, I don't know, but would guess not.
In a recent thread,
calliope pointed out the following information concerning the FEIE from the IRS:
Amounts Not Included in Foreign Earned IncomeAmounts included in your income because of your employer's contributions to a
nonexempt employee trust or to a nonqualified annuity contract [bold mine].
https://www.irs.gov/individuals/international-taxpayers/foreign-earned-income-exclusion-what-is-foreign-earned-incomeSo, it appears if you want to declare the employers contributions, it cannot be part of the FEIE and would have to be declared as a separate, non-excludable item subject to taxation when declared. Will the standard deduction be a larger amount than the contribution + other non-earned income? The good news (which requires reading between the lines) appears to be that employee contributions can be included and therefore should constitute a basis in the pension (My guess!). You know where this is going.......it's down to interpretation.
As for FTC, pension distributions are listed as income on the 1040; a tax due is imposed on the income; but FTCs are used to offset the tax due. My interpretation is there are no restrictions which would not allow both employee and employers contributions to constitute a basis in the pension.
Can this basis be built up through including just my own contributions?
Yes, it can. This is how I have determined my basis in foreign pension plans. The basis calculation is limited to my recorded contributions only.
Now, two more caveats!
1. A UK pension plan will almost certainly be a
non-qualified plan in the US. Non-qualified plans require the use of Publication 939,
The General Rule, to calculate the basis in the pension. On the 1040, most filers with US plans (qualified) will use the
simplified rule to calculate basis, which we cannot use.
2. Interest income on FTC is "passive category". Pension distributions are (or may be, depending on who you talk to) "general category". With the current UK tax free allowances on interest (£500/£1000) and the interest from any tax free Cash ISA, there will be income in the passive category for which no UK tax has been paid, and therefore no FTCs are available. Unfortunately, since tax credits for the categories cannot be interchanged, that means having sufficient taxed interest to cover both the taxed and tax free interest. I have to do this (sigh).