The final 2017 Tax Court Case in which the Foreign Earned Income Exclusion was an issue was Redfield v. IRS, T.C. Memo 2017-71. Unfortunately, Redfield is more about paying attention to deadlines and administrative limits to claiming tax benefits in general (as opposed to the Foreign Earned Income Exclusion in particular). In short, the Tax Court agreed with the IRS: the taxpayer was not entitled to the Foreign Earned Income Exclusion for 2010 because he failed to make [...]