Published Articles
FIRPTA Investors Face Important Choices Under New Partnership Tax Audit Rules
December 11, 2018
FIRPTA Planning: Understanding the Income Tax Consequences of Blocker Corporation Distributions
November 20, 2018
Transfer pricing for inbound loans to a US blocker corporation
November 2, 2018
Withholding exemptions to cross border interest payments.
September 18, 2018
Why IRS requires 25% foreign owned blocker to file IRS Form 5472
August 17, 2018
IRS interim guidance on the tax treatment of disallowed earnings stripping interest to inbound foreign investors in United States real estate
July 27, 2018
Foreign Real Estate Investors Must Consider All US Taxes
July 12, 2018
TCJA Will Affect Foreign Investments In US Real Estate
February 9, 2018