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Presentations

A Concise Guide to Acquisition Vehicles for the Purchase of U.S. Real Estate by Foreign Individuals

A Concise Guide to Acquisition Vehicles for the Purchase of U.S. Real Estate by Foreign Individuals

Woops, My U.S. Real Estate is in a U.S. Corporation: How to Make the Most of a Bad Situation

Buying U.S. Real Estate

Foreign Persons Investing In U.S. Real Estate: Partnership and Other Structures, Opportunities and Traps

Philip R. Hirschfeld presented on the panel “Foreign Persons Investing In U.S. Real Estate: Partnership And Other Structures, Opportunities and Traps” as part of the NYU Advanced Summer Institute in Taxation. The summer institute is offered annually by NYU’s Advanced International Tax Institute. Mr. Hirschfeld’s presentation focused on ways to structure a non-U.S. person’s investment in U.S. real estate in ways that minimize taxation. Investments in mortgage debt securities, partnerships, L.L.C.’s, and R.E.I.T.’s were covered.

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ABA Tax Section: FIRPTA, Section 892 and REITS

Understanding U.S. Taxation of Foreign Investment in Real Property: F.I.R.P.T.A. and Beyond

Foreign Persons Investing in U.S. Real Estate: Partnerships and Other Structures, Opportunities and Traps

Foreign Persons Investing in U.S. Real Estate: Partnership and Other Structures, Opportunities and Traps