7 travel statement credits worth using every year


Some of the best travel credit cards also happen to be some of the most expensive to carry.

With annual fees that can range north of $500, and even some that are closing in on the $1,000 mark, it can be hard to justify paying for more than one or two of them each year unless you’re a super-frequent traveler who can squeeze every penny of value out of each and every benefit.

I actually carry five premium travel cards myself:

With these cards alone, I’m paying more than $2,500 in annual fees every year.

But I’m okay paying those annual fees because I know I can get a lot more value from their various premium benefits.

And while I love the perks the cards come with, like dining, streaming subscriptions and rideshare services, the benefits I care about most are the easy-to-use travel statement credits that help offset costs I’d incur anyway.

That philosophy doesn’t just apply to premium cards, either. One of my favorite travel statement credits comes from the Chase Sapphire Preferred® Card (see rates and fees), which carries just a $95 annual fee.

With that in mind, here are my seven favorite travel statement credits.

Chase Sapphire Reserve: $300 annual travel credit

The Chase Sapphire Reserve charges a $795 annual fee. That might be a dealbreaker for some folks, but not for me.

In fact, if I had to pick a single favorite travel credit, this would probably be it.

Reward your inbox with the TPG Daily newsletter

Join over 700,000 readers for breaking news, in-depth guides and exclusive deals from TPG’s experts

The Sapphire Reserve automatically reimburses up to $300 in travel purchases each cardmember year. Unlike many competing credits, there’s no enrollment required and virtually no strategy involved. If Chase codes the purchase as travel, it generally qualifies.

CHASE

I easily already used the $300 statement credit when my cardmember year renewed on sundry purchases ranging from cheap airline tickets to a couple of Lyft rides and even parking meters. That’s how easy it is to use that particular credit; it applies to pretty much any purchase that Chase codes as travel.

That’s $300 in value I can count on every year without changing my spending habits.

Related: Chase Sapphire Reserve review: A premium card for power travelers

Chase Sapphire Reserve: The Edit hotel credit

The Sapphire Reserve’s hotel statement credits have become another favorite because they can lead to outsized savings on luxury stays.

The Reserve offers:

  • Up to $500 (split into two up-to-$250 credits that can be used at any time but cannot be combined) for prepaid bookings of two nights or more booked via The Edit by Chase Travel℠.
  • A one-time credit of up to $250 for prepaid stays of two nights or more booked via Chase travel at select hotels such as IHG, Omni and Virgin Hotels (a two-night minimum is required, must be used by Dec. 31, 2026).

This year, I actually stacked one of the up-to-$250 The Edit hotel credits with the card’s one-time up to $250 hotel credit for eligible properties booked through Chase Travel. The result? I knocked $500 off a stay at the Kimpton Charlotte in January.

Angeline restaurant at Kimpton Tryon Park in Charlotte.
Angeline restaurant at Kimpton Tryon Park in Charlotte. ERIC ROSEN / THE POINTS GUY

And I still have the other $250 credit toward another The Edit booking to use.

What I particularly like about these The Edit credits is that once I use their monetary value, I can typically use my Chase points to cover the rest of the cost of the stay at an increased value thanks to Chase’s Points Boost feature.

Related: How I saved over $8,000 on a family trip to Paris with the Chase Sapphire Reserve

Capital One Venture X: $300 travel credit

The Capital One Venture X Rewards Credit Card offers up to $300 in annual statement credits toward bookings made through Capital One Travel.

That includes things like hotels, airline tickets, car rentals and more, so it’s exceptionally easy to use.

On the Great Ocean Road outside Melbourne. ERIC ROSEN / THE POINTS GUY

I recently put my annual Capital One credit toward a two-night luxury hotel booking via Capital One’s Premier Collection in Australia. The credit covered almost the entire cost of the reservation.

Considering the card’s annual fee is $395, that credit alone does much of the heavy lifting.

Related: Capital One Venture X: A straightforward premium travel card for a modest annual fee

American Express: up to $600 hotel credit

The American Express Platinum Card and The Business Platinum Card from American Express offer similar Fine Hotels + Resorts statement credits, and I’ve found them surprisingly easy to maximize.

You can receive up to a $600 annual hotel credit per calendar year in the form of a statement credit (allotted as up to $300 biannually) on prepaid American Express Fine Hotels + Resorts or The Hotel Collection bookings made through American Express Travel® when you pay with your Platinum card. This credit alone covers more than two-thirds of the $895 annual fee both cards incur, making it even more valuable (see rates and fees for the Amex Platinum; see rates and fees for the Amex Business Platinum).

Hotel Collection stays require a two-night minimum.

I use my $300 FHR credits on short, inexpensive stays at luxury hotels, usually on quick stopovers.

Shangri-La Singapore lobby. ERIC ROSEN / THE POINTS GUY
Shangri-La Singapore lobby. ERIC ROSEN / THE POINTS GUY

For instance, I used my first $300 statement credit this year on a one-night stay at the Shangri-La Singapore that would have cost $320 otherwise, so I effectively got a $20 night at a luxury hotel, including complimentary breakfast and a $100 credit toward on-property purchases that I used toward a much-needed massage at the hotel spa.

Related: Double the platinum, double the perks: Why having both Amex Platinum cards is worth it

Amex Business Platinum Card: Hilton for Business credit

This isn’t the flashiest credit, but it might be one of the most practical.

I have found the Hilton for Business statement credit on the Business Platinum Card from American Express super convenient to use and it has saved me an extra $200 per year.

ERIC ROSEN/THE POINTS GUY

Amex Business Platinum cardholders who are also Hilton for Business members (it’s free and fast to enroll) get up to $200 back per calendar year split into four statement credits of up to $50 per quarter when they make eligible purchases at Hilton properties. Enrollment is required.

Over the past year, I’ve triggered the credit on everything from breakfast at the Canopy by Hilton Osaka to cocktails at the Conrad Singapore.

Manhattan Bar at the Conrad Singapore.
Manhattan Bar at the Conrad Singapore. ERIC ROSEN / THE POINTS GUY

The enrollment process takes less than a minute, and the savings add up quickly if you regularly find yourself at Hilton properties.

Related: Amex Business Platinum review: Can its premium perks justify an $895 annual fee?

Hilton American Express Aspire Card: Up to $400 at resorts

One of my favorite hotel-card perks is the Hilton Aspire’s up to $400 annual resort credit. The statement credit is split into two up-to-$200 credits, one from January-June, then July-December, but I still find it surprisingly easy to use.

It can be used toward eligible purchases, including room rates and incidentals, made directly with participating Hilton resorts. In fact, I routinely use it at a Hilton resort near my parents’ home in San Diego, where it helps offset room charges and other eligible purchases I’d be making anyway.

The Hotel del Coronado in San Diego. ERIC ROSEN/THE POINTS GUY

Considering the card’s $550 annual fee (see rates and fees), getting up to $400 back at Hilton resorts goes a long way toward justifying the card’s cost.

Related: Hilton Honors American Express Aspire Card review: A card for all Hilton fans

Chase Sapphire Preferred: $100 hotel credit

Not every great travel credit requires an expensive premium card.

The Chase Sapphire Preferred continues to take home the top travel rewards credit card of the year at the TPG Awards because it’s such a solid value proposition. For just a $95 annual fee, this card is an earning powerhouse.

And the card just revamped its benefits and doubled its annual hotel statement credit from $50 to $100.

Pool at the Anthem Hotel
THE ANTHEM HOTEL

Basically, all you have to do is book a prepaid hotel through Chase Travel. There are no complicated spending thresholds or minimum stay requirements. It’s a simple benefit that can completely offset the card’s annual fee.

My husband carries the Sapphire Preferred, so we use this credit each year when booking an inexpensive stay when visiting family or friends.

Related: Chase Sapphire Preferred Card review: A top travel and dining card

Bottom line

Some of the best travel rewards credit cards charge high annual fees. But they also offer travel-related statement credits that can help offset the cost. If you carry one of these cards, be sure you are taking advantage of all its perks, or you could be leaving hundreds of dollars in value on the table.

Thanks to my busy travel schedule, I’m able to leverage thousands of dollars in travel statement credits each year with my suite of premium cards.

Have strategies for doing the same with yours? Share them in the comments!


For rates and fees of the Amex Platinum, click here.
For rates and fees of the Amex Business Platinum, click here.
For rates and fees of the Hilton Honors Aspire, click here.



Source link

Leave a Reply

Subscribe to Our Newsletter

Get our latest articles delivered straight to your inbox. No spam, we promise.

Recent Reviews


We’ve all experienced those moments when we say something and realize our wording wasn’t perfect. Yet from the other person’s nod or response, we can tell they understood our meaning perfectly well. We don’t feel the need to repeat ourselves with better phrasing. This is simply part of being human.

A similar situation occurs with income tax filings. Consider a taxpayer whose e-filed return gets rejected due to a technical issue. The taxpayer then submits a paper filing, perhaps using a slightly incorrect form. In both attempts, the IRS receives the essential tax information and understands what the taxpayer is communicating.

In these cases, can the IRS legitimately claim these tax returns were never filed? The case of McDow v. United States, No.1:21-cv-00732 (Fed. Cir. April 1, 2025) addresses this very question. The decision considers when an informal refund claim meets the timeliness requirements and how tax returns and refund claims work together under statutory deadlines.

Facts & Procedural History

The taxpayer in this case had overpaid taxes for multiple years. We are going to focus on the 2013 tax year in this article.

For tax year 2013, the taxpayer made a payment in January 2014. He tried to file his 2013 tax return with the IRS electronically in April 2015, but the IRS rejected the filing. Instead of immediately resubmitting the return, the taxpayer filed a Form 843 (Claim for Refund and Request for Abatement) in December 2016. This form was filed more than two years after his tax payment but within three years of his first filing. The taxpayer eventually filed a formal tax return for 2013 in June 2018.

After the IRS denied the refund claim, the taxpayer filed suit in the court of federal claims. In its first ruling on the government’s motion to dismiss, the court determined that the Form 843 qualified as an informal refund claim and was timely filed within the three-year statutory period. The government then filed a motion for reconsideration, arguing that without a formally filed tax return, an informal claim must be filed within two years of payment—not three years.

Tax Refund Claim Deadlines Under Sec. 6511

Most questions about timing for refund claims involve the IRS not carrying out its duties timely. The IRS does nothing timely.

The IRS audits years in arrears, routinely forces taxpayers to extend the three year audit period for these old years, and then essentially never processes refund claims timely before the three years expires. This puts taxpayers in a position of having to review the rules in Section 6511 regularly to avoid losing refunds–often not for their own fault, but for the IRS’s inability to act timely.

The timing requirements for refund claims are set out in Section 6511 of the tax code. This section creates two different deadlines depending on whether the taxpayer has previously filed a tax return.

Section 6511(a) says that if a taxpayer must file a return, a refund claim “shall be filed by the taxpayer within 3 years from the time the return was filed or 2 years from the time the tax was paid, whichever of such periods expires the later, or if no return was filed by the taxpayer, within 2 years from the time the tax was paid.”

This creates two paths

This creates two paths: taxpayers who file returns generally have three years from the filing date to request a refund. Those who don’t file returns have only two years from the payment date. This one-year difference matters when dealing with tax audits and refund claims. Whether the 2 or 3 year period applies can be problematic for taxpayers as missing the filing deadline by even a few months can lose substantial refund amounts they would otherwise be entitled to receive.

Beyond these filing deadlines

Beyond these filing deadlines, Section 6511(b) also creates “look-back” periods that limit how much a taxpayer can recover even with a timely claim. If a claim is filed within the three-year period, the refund is limited to taxes paid within three years (plus any extension) before the claim. If the claim is not filed within that three-year period, the refund is limited to taxes paid within two years before the claim.

What Is the Informal Claim Doctrine?

Courts created the informal claim doctrine as an exception to the formal requirements for tax refund claims.

We have previously considered several cases involving informal refund claims, such as claims signed by tax attorneys, substantial variance and informal claims, and whether an IRS audit report itself an informal claim. Under these court cases, a document that doesn’t meet all the technical requirements for a formal refund claim may still work as a placeholder if it tells the IRS of the taxpayer’s intent to seek a refund.

For an informal claim to be valid, it must tell the IRS in writing that the taxpayer wants a refund. It must specify the tax year and reasons for the refund claim. And the taxpayer must follow up with a formal refund claim within a reasonable time.

The informal claim doctrine helps prevent taxpayers from losing refund rights due to technical problems, as long as they give the IRS enough notice of their claim. This doctrine helps taxpayers unfamiliar tax returns and filing requirements avoid tax litigation for not following the precise procedural filing requirements.

Courts have used this doctrine in many contexts, including cases where taxpayers sent letters, protests, or other documents that clearly showed they wanted a refund, even if these documents didn’t meet official claim requirements. The doctrine essentially favors substance over form in these situations.

How Does the Informal Claim Doctrine Interact with Sec. 6511’s Deadlines?

The main question in McDow was how the informal claim doctrine works with Section 6511’s timing requirements. Does an informal claim filed before a tax return is filed use the three-year period, or does it use the two-year deadline that applies when “no return was filed”?

The government said an informal claim cannot replace a tax return to trigger the three-year deadline. According to this view, the statute treats “claims” and “returns” as separate documents with separate purposes. While the informal claim doctrine allows an informal document to stand in for a formal refund claim, it doesn’t allow that same document to count as a tax return. Thus, the informal return was never filed for purposes of Sec. 6511.

This matters because Section 6511(a) specifically says that if “no return was filed,” the taxpayer has only two years from payment to file a refund claim. The government argued that an informal claim filed before a tax return must meet this two-year deadline to be timely.

Is a Formal Return Required?

The Court of Federal Claims looked at two key cases: Wertz v. United States and Libitzky v. United States. Both cases dealt with whether an informal claim can use the three-year deadline without a tax return.

In Wertz, another judge on the Court of Federal Claims held that an informal claim must be filed within two years of the tax payment to be timely when no return has been filed. The court said that while the IRS can waive its requirement that a claim be filed on the correct form, it cannot change Congress’s statute of limitations, which represents a waiver of sovereign immunity.

In Libitzky, the Ninth Circuit separated the “limitations period” in Section 6511(a) from the “look-back” period in Section 6511(b). The court defined a “refund claim” as a request for a refund of an overpayment, and the “tax return” as the formal filing with the IRS. The court held that an informal claim filed before a tax return must meet the two-year deadline.

After reviewing these cases, the Court of Federal Claims in McDow agreed with Wertz and Libitzky. The court said the statute requires filing a formal tax return to get the benefit of the longer look-back period. When a taxpayer files an informal claim before filing a tax return, that informal claim must be filed within two years of the tax payment to be timely.

Why Did the 2013 Refund Claim Fail?

When the court applied this to the case, it found that the informal claim for 2013 was untimely. The taxpayer filed Form 843 in December 2016, more than two years after the January 2014 payment to the IRS. While the form might have qualified as an informal claim, it was filed too late to meet the two-year deadline.

The taxpayer also argued that his attempted April 2015 electronic filing should count as a tax return for purposes of the statute of limitations, which would give his Form 843 the benefit of the three-year period. But the court rejected this argument. The court noted that because the IRS rejected the filing, the taxpayer needed to refile. Since the IRS did not consider the rejected filing as a valid return, and the taxpayer did not formally file a return until 2018, the informal claim was subject to the stricter two-year deadline.

The court emphasized that when an electronically filed tax return is rejected, the taxpayer must refile for it to be considered filed. This puts the responsibility on taxpayers to ensure their electronic filings are accepted rather than assuming rejected submissions count as filed returns.

The Takeaway

This case clarifies how the informal claim doctrine works with Section 6511’s timing requirements. An informal claim filed before a tax return must meet the two-year deadline from payment to be timely. This preserves the difference between claims and returns while still allowing the informal claim doctrine to work as an equitable remedy in appropriate cases. For taxpayers seeking refunds, the message is clear: file tax returns promptly, follow up on rejected electronic filings, and watch the deadlines for refund claims. When electronic filings are rejected, taxpayers must act quickly to refile, as rejected submissions do not count as filed returns for purposes of extending the refund claim period.

Watch Our Free On-Demand Webinar

In 40 minutes, we’ll teach you how to survive an IRS audit.

We’ll explain how the IRS conducts audits and how to manage and close the audit.  



Source link