Skip to content
International Tax
  • Home
  • Events
  • About
  • Contact
  • Newsletter
Join Us
International Tax

Nonresident Investment in U.S. Real Estate

Nonresident Investment in U.S. Real Estate

FIRPTA Structure Series #5: Estate Tax Protection With Multi-Entity Holding Structures

ByPhil Hodgen 02/16/202402/28/2024

The series so far Estate tax protection using single-entity holding structures The series started with a discussion of single-entity holding structures. I…

Read More FIRPTA Structure Series #5: Estate Tax Protection With Multi-Entity Holding StructuresContinue

Nonresident Investment in U.S. Real Estate

FIRPTA Structure Series #4: Single-Tier Structures That Prevent Estate TAx

ByPhil Hodgen 02/02/202402/28/2024

The “Real Estate Holding Structure” Series This is the fourth episode of the real estate holding structure series. In this series I…

Read More FIRPTA Structure Series #4: Single-Tier Structures That Prevent Estate TAxContinue

Nonresident Investment in U.S. Real Estate

FIRPTA Structure Series #3: Avoid Structures With Uncertain Estate Tax Risk

ByPhil Hodgen 01/19/202402/28/2024

The “Real Estate Holding Structure” Series This is the third episode of the real estate holding structure series. In this series I…

Read More FIRPTA Structure Series #3: Avoid Structures With Uncertain Estate Tax RiskContinue

Nonresident Investment in U.S. Real Estate

FIRPTA Structure Series #2: Estate Tax is Inevitable With These Structures

ByPhil Hodgen 01/05/202402/28/2024

Welcome to The Friday Edition. Phil here, in the Bright and Shiny Year of Our Lord 2024. We continue in the series…

Read More FIRPTA Structure Series #2: Estate Tax is Inevitable With These StructuresContinue

Nonresident Investment in U.S. Real Estate

FIRPTA Structure Series #1: Introduction, Single Tier Structures, and Impossibility

ByPhil Hodgen 12/22/202302/28/2024

FIRPTA Holding Structures, Episode 1. Thirteen simple structures exist; three can be quickly eliminated.

Read More FIRPTA Structure Series #1: Introduction, Single Tier Structures, and ImpossibilityContinue

Page navigation

Previous PagePrevious 1 2
International Tax Pros

Login

Join

    Newsletter

    Subscribe

    Archive

      Information

      About

      Contact Us

      Terms and Conditions

      © 2025 The Exceptional Information Company

      Review Cart

      No products in the cart.

      • Home
      • Events
      • About
      • Contact
      • Newsletter