- videocam On-Demand
- signal_cellular_alt Intermediate
- card_travel Tax Preparer
- schedule 110 minutes
Real Estate Holding Structures for Foreign Investors: Income and Estate Tax Implications of U.S. and Foreign Entities
Direct Investments, Partnerships, Corporations, Trusts
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Description
More and more foreigners are investing in U.S. real estate. Like all taxpayers, avoiding and minimizing taxes paid is a key concern. The choice of holding structure or whether to hold the investment directly impacts the U.S. income and estate taxes paid. Investors may choose a U.S. or foreign, corporation, partnership, or trust to hold U.S. property.
Holding the property directly is the simplest choice; however, the tax consequences of a sale and death must be considered for any holding structure. Although the U.S. estate tax exemption is at an all-time high of $13,610,000 for individuals in 2024, and twice this amount if married, the foreign exemption remains a mere $60,000. Transferring the property before death or treaty benefits could help lessen or eliminate the tax burden of property held personally.
Holding property in a foreign corporation can avoid estate tax consequences; however, these corporations could be subject to branch profits tax, FDAP tax, and would be ill-advised if, as part of an estate plan, shares held in the corporation pass to U.S. beneficiaries. In addition to direct investments and foreign corporations, trusts, domestic corporations, and partnerships could be valid entity choices for foreign investors. Understanding the income tax and the estate tax ramifications of each structure is vital for tax advisers working with international taxpayers.
Listen as our panel of experienced international tax attorneys addresses the tax effects of entity choice on foreign investors in U.S. real estate.
Presented By
Mr. Diosdi is an experienced trial lawyer who regularly defends individuals and corporations in matters involving tax controversies and government regulatory enforcement. He also has vast experience assisting clients who find themselves with unreported or undeclared bank accounts outside the U.S. Mr. Diosdi is acknowledged as one of the nation’s leading experts in contesting penalties associated with failing to file FBARs. In addition to representing clients in tax controversy matters, he advises clients on U.S. international tax matters, including tax planning with respect to their structures and transactions. In particular, Mr. Diosdi has experience advising on issues relating to tax treaties, pre-immigration planning for foreigners moving to the U.S., expatriation planning, tax planning for foreign companies doing business in the U.S., and subpart F income minimization. More recently, he has focused on helping clients navigate U.S. tax reform, including the regimes for Global Intangible Low-Taxed Income and Foreign-Derived Intangible Income, and the new limitations on foreign tax credits.
Ms. Liu concentrates her practice in areas of domestic and international tax. She has served as lead or co-counsel in federal courts throughout the United States involving criminal tax matters, tax controversies, employment tax controversies, SEC securities litigation, and post-employment covenants not to compete (including the successful litigation in district court for the Northern District of Georgia proceeding of first impression adjudicating the enforceability of a forum select clause, and covenant not to compete controversy. This case was named in the California Labor and Employment Bulletin as one of the top ten California Trade Secrets and Unfair Competition Developments). Ms. Liu has successfully resolved hundreds of serious tax matters for business and high net worth individuals, both in court and through negotiations with the IRS. She has assisted many clients in tax controversy matters at audit and administrative appeals before the IRS and state tax authorities. Ms. Liu also has significant experience in representing clients before the IRS programs offered to taxpayers to correct their past non-compliance. She has represented many clients through the IRS voluntary disclosure program and Streamlined Filing Compliance Procedures.
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BARBRI is a NASBA CPE sponsor and this 110-minute webinar is accredited for 2.0 CPE credits.
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BARBRI is an IRS-approved continuing education provider offering certified courses for Enrolled Agents (EA) and Tax Return Preparers (RTRP).
Date + Time
- event
Thursday, February 22, 2024
- schedule
1:00 p.m. ET./10:00 a.m. PT
- Real estate structures for foreign investors: introduction
- Estate tax
- Corporation
- Foreign corporation
- Partnership
- Trust
- Direct investment
- Examples
The panel will cover these and other critical issues:
- U.S. income tax consequences of investing in U.S. real estate through a foreign corporation
- Estate tax implications of personal investments in U.S. real estate
- Whether a blocker corporation can negate estate tax
- Utilizing irrevocable trusts to hold U.S. real estate
- Differences in the tax treatment of real estate held by U.S. and foreign corporations
Learning Objectives
After completing this course, you will be able to:
- Identify how U.S. estate tax impacts U.S. situs property held by foreign investors
- Determine if a blocker corporation can be used to avoid estate tax
- Decide how the tax treatment of U.S. and foreign corporations holding property differs
- Ascertain how holding real estate in a foreign corporation could help circumvent U.S. estate tax
- Field of Study: Taxes
- Level of Knowledge: Intermediate
- Advance Preparation: None
- Teaching Method: Seminar/Lecture
- Delivery Method: Group-Internet (via computer)
- Attendance Monitoring Method: Attendance is monitored electronically via a participant's PIN and through a series of attendance verification prompts displayed throughout the program
- Prerequisite: Three years+ business or public firm experience preparing complex tax forms and schedules, supervising other preparers or accountants. Specific knowledge and understanding of international taxation including residency determination, foreign entity classifications, application of treaty benefits, as well as GILTI, Subpart F, and the related Section 250 deductions.
BARBRI, Inc. is registered with the National Association of State Boards of Accountancy (NASBA) as a sponsor of continuing professional education on the National Registry of CPE Sponsors. State boards of Accountancy have final authority on the acceptance of individual courses for CPE Credits. Complaints regarding registered sponsons may be submitted to NASBA through its website: www.nasbaregistry.org.
BARBRI is an IRS-approved continuing education provider offering certified courses for Enrolled Agents (EA) and Tax Return Preparers (RTRP).
BARBRI CE webinars-powered by Barbri-are backed by our 100% unconditional money-back guarantee: If you are not satisfied with any of our products, simply let us know and get a full refund. Contact us at 1-800-926-7926 .
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