Feb 13, 2017 | International Tax
The first form we will discuss in this blog series is Form 5472—Information Return of a 25% Foreign-Owned U.S. Corporation or a Foreign Corporation Engaged in a U.S. Trade of Business. This form is required to be filed by U.S. corporations that have at least 25%...
Feb 7, 2017 | International Tax
The globalization of business has created many opportunities for companies to grow and expand internationally. Doing business in other countries is no longer reserved for giant, multinational public companies; it is now a reality for many small- to medium-sized...
Feb 7, 2017 | Firm Updates, Individual Tax
Incentive stock options (ISOs) allow you to buy company stock in the future at a fixed price equal to or greater than the stock’s fair market value on the grant date. If the stock appreciates, you can buy shares at a price below what they’re then trading for. However,...
Feb 3, 2017 | Firm Updates, International Tax
Please click here to read Linda’s Bruckner’s article “Tax Implications of Purchasing Real Estate from a Foreign Person—What You Need to Know.” This article originally appeared in the February 2017 TaxStringer and is reprinted with permission...
Feb 1, 2017 | International Tax
Recently we have been examining some of the issues that can arise with the ownership of foreign real estate. Here is the last situation we will discuss in this series: A married couple, both U.S. Green Card holders, owned rental property in their country of...