Tax Planning for Foreign Investment in U.S. Real Estate

George R. McCormick
George R. McCormick
Baker Hostetler

George McCormick advises high net worth individuals and their families, entrepreneurs and business owners, family offices and trust companies on U.S. federal tax and estate and trust planning.

Nicole Green
Nicole Green
NGG Tax Group, Inc.

Nicole is a Managing Partner at NGG Tax Group, Inc. With over a decade of experience working in public and private firms, she provides compliance, tax, and consulting services to taxpayers as well as Advisory services to other firms.

Live Video-Broadcast: June 11, 2025

2 hour CLE

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Program Summary

Session I - Tax Implications for Non-Americans Investing in U.S. Real Estate

This session will provide a foundational understanding of the primary U.S. federal tax considerations that foreign investors must consider when acquiring and managing U.S. real estate. We’ll cover how rental income is treated from a tax perspective, the implications of selling property, and the importance of properly classifying income streams to ensure compliance and avoid costly penalties. The discussion will also outline the withholding and reporting requirements under FIRPTA (Foreign Investment in Real Property Tax Act) and other regulations that commonly apply to non-U.S. investors. Attendees will walk away with a clearer picture of how to remain compliant while optimizing the income tax outcomes of their investments.

Key topics to be discussed:

  • U.S. federal income tax implications of renting and selling U.S. real estate
  • Synopsis of relevant withholding and reporting requirements (e.g., FIRPTA)
  • Key compliance obligations for foreign investors, including filing status and election considerations

Session II - Structuring & Transfer Tax Strategies for U.S. Real Estate

This session will explore how foreign investors can strategically structure their ownership of U.S. real estate to mitigate exposure to estate and gift taxes, which can be particularly severe for non-U.S. individuals. We’ll compare different holding structures—such as personal ownership, foreign corporations, U.S. entities, and trust arrangements—and evaluate the pros and cons of each from both a tax and practical perspective. The session will also address common pitfalls to avoid, such as triggering U.S. situs property. By the end of the session, attendees will better understand how thoughtful planning and entity selection can significantly reduce long-term tax liabilities and enhance asset protection.

Key topics to be discussed:

  • U.S. estate and gift tax implications for non-resident investors
  • Structuring options to minimize U.S. federal taxes, including comparison of entities and ownership models
  • Practical considerations and pitfalls to avoid in structuring and transferring U.S. real estate assets

This course is co-sponsored with myLawCLE.

Date / Time: June 11, 2025

  • 1:00 pm – 3:10 pm Eastern
  • 12:00 pm – 2:10 pm Central
  • 11:00 am – 1:10 pm Mountain
  • 10:00 am – 12:10 pm Pacific

Closed-captioning available

Speakers

George R. McCormick | Baker Hostetler

George McCormick advises high net worth individuals and their families, entrepreneurs and business owners, family offices and trust companies on U.S. federal tax and estate and trust planning.

He provides general estate planning as well as more advanced gift and trust planning advice that includes counseling fund principals with gifting fund interests, creating grantor retained annuity trusts (GRATs), intentionally defective grantor trusts (IDGTs), private trust companies, charitable trusts and the use of life insurance strategies and structures. George counsel’s clients with tax compliance issues that may arise, including representing them in front of the IRS and advising clients who might need to make disclosures to the IRS.

A significant part of George’s practice is cross-border tax and wealth planning advice. He counsels non-U.S. individuals and U.S. citizens residing overseas, providing trust and succession planning advice for their American family members, creating foreign grantor trusts and administering foreign no grantor trusts. He assists non-U.S. clients with structuring tax efficient investments in U.S. real estate, funds and other U.S. situs investments, in addition to tax planning for immigration to the United States. George advises U.S. citizens living abroad, or who invest overseas, on a range of issues, including tax, estate and expatriation planning, focusing on the relevant non-U.S. legal and tax issues that may affect them. He developed his skills in international tax planning by practicing law in Hong Kong for more than five years early in his legal career. George is a member of the Society of Trust and Estate Practitioners (STEP), the international professional body for advisers who concentrate on cross-border inheritance and succession planning.

George worked for the Florida Department of Revenue before entering private practice, administering taxpayer audit appeals, providing taxpayers with guidance concerning state tax laws and advising state legislators and executives on federal and state tax law and legislation. He also served as Legislative Counsel to U.S. Congressman Michael C. Burgess, M.D., of Texas, drafting U.S. federal income and estate tax legislation and advising the congressman on tax and economic policy, foreign affairs and transportation.

 

Speaker_Nicole GreenNicole Green | NGG Tax Group, Inc.

Nicole is a Managing Partner at NGG Tax Group, Inc. With over a decade of experience working in public and private firms, she provides compliance, tax, and consulting services to taxpayers as well as Advisory services to other firms. Nicole also guides US and Foreign nationals on a wide range of in-bound and out-bound transactions surrounding US tax considerations and multinational tax matters. Nicole has written articles on international tax issues as well as cryptocurrency and the tax implications of a divorce. Nicole holds a master’s degree in taxation and is an IRS Enrolled Agent.

Agenda

Session I – Tax Implications for Non-Americans Investing in U.S. Real Estate | 1:00pm – 2:00pm

  • U.S. federal income tax implications of renting and selling U.S. real estate
  • Synopsis of relevant withholding and reporting requirements (e.g., FIRPTA)
  • Key compliance obligations for foreign investors, including filing status and election considerations

Break | 2:00pm – 2:10pm

Session II – Structuring & Transfer Tax Strategies for U.S. Real Estate | 2:10pm – 3:10pm

  • U.S. estate and gift tax implications for non-resident investors
  • Structuring options to minimize U.S. federal taxes, including comparison of entities and ownership models
  • Practical considerations and pitfalls to avoid in structuring and transferring U.S. real estate assets
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