Pre-Immigration Planning



Similar documents
Estate Planning for the International Client

Tax and Succession Planning for Immigration to the United States

Pre-Immigration Tax Planning and Post-Immigration Tax Compliance for EB-5 Investors

New Year brings new US Reporting requirement introducing Form 8938 Statement of Specified Foreign Financial Assets

Top 10 Tax Considerations for U.S. Citizens Living in Canada

U.S. Taxation and information reporting for foreign trusts and their U.S. owners and U.S. beneficiaries

US Citizens Living in Canada

International Issues. Affecting. Domestic Planners

Top Ten Reasons to Use the U.S. as a International Tax & Residency Haven

TAX CONSEQUENCES FOR U.S. CITIZENS AND OTHER U.S. PERSONS LIVING IN CANADA

Ellen Harrison. Philadelphia Estate Planning Council ( PEPC ) October 21, 2014

Tax planning for employees coming to work in the U.S. Up close

Sales Strategy Estate Planning for Non-Citizens in the United States

TAX PRESENTATION. By Ronald R. Fieldstone, Esq. and Rebecca Abrams Sarelson, Esq. Arnstein & Lehr LLP

Life Insurance and Estate Planning for Retirement Plans

Tax Implications for US Citizens/Residents Moving to & Living in Canada

ADVISING THE FOREIGN PRIVATE CLIENT ON U.S. INCOME AND TRANSFER TAX PLANNING

Tax Aspects of Consulting The Exit Tax Roth IRA Conversions Other. Foreign Bank Account Reporting Update Social Security

U.S. Tax Planning for Non-U.S. Persons and Trusts: An Introductory Outline

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Dean C. Berry, Partner, Cadwalader Wickersham & Taft, New York

Tax and Estate Planning Issues for Canadian Citizens and Residents residing in the U.S. and Dual U.S.- Canadian Citizens

U.S. Taxation of Foreign Investors

Advisory. Will and estate planning considerations for Canadians with U.S. connections

The Most Common Cross-Border Tax & Financial Planning Mistakes. What Advisors Need to Know

Representing U.S.-Swiss Dual Passport Holders in IRS Voluntary Disclosure Cases

Frequently Asked Questions: US Foreign Account Tax Compliance Act & the World Bank s Staff Retirement Plan

Immigrating to the USA: effective wealth planning Charles P LeBeau, Attorney, San Diego, California, USA

Estate Planning and Income Tax Issues for Nonresident Aliens Owning US Real Estate

Gift and estate planning: Opportunities abound

Pre-Immigration Tax Planning

THE ANDERSEN FIRM A PROFESSIONAL CORPORATION. Non-Citizen Spouses

War Stories From A U.S. International Practitioner Latest Trends and Events Affecting Foreign Trustees

US TAX ISSUES WITH LIFE INSURANCE POLICIES 13th February 2013

GUIDEBOOK FOR U.S. TAXATION OF FOREIGN INDIVIDUALS

International Tax. Las Vegas, Nevada December 4-5, 2012

USA Taxation. 3.1 Taxation of funds. Taxation of regulated investment companies: income tax

Tax Effective Cross-Border Will Planning

US / Canada Cross Border Tax Update

Corrective U.S. Tax Compliance for Dual Status and Foreign Taxpayers Andrew Bernknopf, Esq., Member:

U.S. Tax and Estate Planning Issues for Canadians with U.S. Assets or U.S. Citizenship

Advanced Markets Estate Planning for Non-Citizens in the United States

Instructions for Form 8960

Expatriation - A Comparison of Tax Issues in the US & UK in an Increasingly Mobile World

LIFE INSURANCE TRUSTS

TREASURY DEPARTMENT TECHNICAL EXPLANATION OF THE PROTOCOL BETWEEN THE UNITED STATES OF AMERICA AND

international tax issues and reporting requirements

Canada-U.S. Estate Planning for the Cross-Border Executive

TAX PLANNING FOR INDIVIDUALS. Selected Tax Issues

GUIDE TO U.S. INCOME TAXATION FOR IDB-IIC FCU MEMBERS

Wealth Planning Summary of U.S. Income, Estate and Gift Taxation for Non-Resident Aliens

MOODYS LLP TAX ADVISORS 21-MARCH-2011 CALGARY

Cross-Border Canadian-U.S. Planning

ESTATE PLANNING FOR NON U.S. CITIZENS, By Yahne Miorini, LL.M.

3/5/2015. United States: US/UK Estate Planning and Procedure. US Federal Tax System. Brad Westerfield Partner Butler Snow UK LLP

Irrevocable Life Insurance Trust (ILIT)

How are trusts and estates taxed for income tax purposes?

Hot Topic!!!! Funding Trust-Owned Life Insurance - Selecting the Best Option.

BY: DAVID W. KLASING ESQ. M.S.- TAX CPA

GIFTS: THE KEY TO ESTATE TAX SAVINGS

BARBER EMERSON, L.C. MEMORANDUM ESTATE FREEZING THROUGH THE USE OF INTENTIONALLY DEFECTIVE GRANTOR TRUSTS

CLIENT GUIDE. Advanced Markets. Estate Planning Client Guide

INTERNATIONAL TIDBIT: Reporting Foreign Investments New Requirements for the 2013 Tax Year

Nuts & Bolts of Cross Border Tax Issues

The N eeds of W ealth Ow ning Fam ilies and the Tools that W ork

US Estate Tax for Canadians

H.R. 1836: THE ECONOMIC GROWTH AND TAX RELIEF RECONCILIATION ACT OF 2001 ( ACT )

SPECIAL TAX ISSUES FOR EXPATRIATE AMERICANS

Trust and Estate Planning Considerations When Advising Canadians Living in the United States

Split-Interest Charitable Giving Techniques in brief

Rising tuition for college education is a daunting

MILLER THOMSON ON ESTATE PLANNING

GIVE AND YOU SHALL RECEIVE CHARITABLE GIVING, CREATING A PLAN THAT S RIGHT FOR YOU

Final Affairs: (Estate) Planning is a Good Thing

Tax Alpha. Robert S. Keebler, CPA, M.S.T., AEP. Keebler & Associates, LLP 420 South Washington Street Green Bay, WI

Spousal Access Trusts Access To Cash Value Potential Through Flexible Trust Planning

Example 1 Depletion Allowance Deduction:

Common Tax Traps in Cross-Border Estate Planning

DC Estate Planning Council Meeting. Life Insurance and the International Client: A Quagmire Requiring Targeted Solutions

Business Succession Planning Morgan Stanley Smith Barney LLC. Member SIPC

ADVANCED PLANNING CONCEPTS IN LIGHT OF THE AMERICAN TAXPAYER RELIEF ACT (October 11, 2013)

Estate Planning and Oil and Gas Leasing

T he transfer of assets upon death by residents of Puerto Rico ( PR ) may be subject to estate taxes imposed by the United

TaxTalk. U.S. Tax Update Individuals

Giving Today to Guarantee Tomorrow: Charitable Gifts of Life Insurance

EB-5 Investor Visa and U.S. Tax Issues

PRIVATE CLIENT BRIEFING:

EB-5 Immigrant Investor Program

Going to Combat for Your International Client: Avoiding Landmines and Other Hot Topics in 2012/2013

Planning for Foreign Persons Investing in U.S. Real Estate

Transcription:

Estate Planners Day 2013 Estate Planning Council Pre-Immigration Planning Kathryn von Matthiessen Cantor & Webb, P.A. May 8, 2013

Resident/Nonresident Domiciliary/Nondomiciliary RESIDENT DOMICILIARY NONRESIDENT NONDOMICILIARY Why a Frown? Why a Smile?

Resident For U.S. Income Tax Purposes U.S. Citizen Green Card Physical presence Substantial presence Election Exceptions: Closer connection Treaty-based position Days not counted

Resident For U.S. Estate and Gift Tax Purposes Domicile: means physical presence AND intent to remain indefinitely Facts and circumstances test Treaty-based position

Residency Starting Date Substantial Presence Test First day of presence in current year is residency starting date Must not have been a U.S. resident in prior year Certain days are excluded for residency starting date, but not for overall day count U.S. permanent resident (green card holder) Date entered U.S. as a permanent resident is residency starting date Must not have been a U.S. resident in prior year Overlap If green card holder meets substantial presence test

Planning Strategies

Know Your Client Family Assets Business Citizenship, Residence and Domicile of all family members Investment Objectives & Diversification Tax and non-tax objectives Date of change of residence Immigration Planning Intent to remain in U.S.

Objectives Minimize United States and Home Country taxes Consult with local counsel Consider interim residence Least aggregate amount of taxes in both countries and avoid double taxation to the greatest possible extent Coordinate tax and estate plan with non-tax issues Family relationships Cash flow Access to assets Understand United States financial disclosure and other relevant laws Maximize protection from creditors Address spousal rights, if any Address forced heirship rights, if any

Accelerate Income and Gains Income and gains realized prior to becoming a resident will not be subject to United States income tax if not ordinarily subject to such tax Identify key assets and income sources Determine expected time of ownership Difficulty in determining historic cost Appreciated marketable securities Rents and royalties Review existing life insurance and deferred compensation products/plans

Defer Deductions and Losses Sale of assets having built-in losses should be deferred until after becoming a resident Deductible expenses should be paid after becoming a resident Mortgage payments Charitable contributions

Sale of Residence $250,000 of gain from the sale of property is excluded if, during the 5-year period ending on the date of the sale, such property has been owned and used by the taxpayer as the taxpayer s principal residence for periods aggregating 2 years or more. Up to $500,000 if filing married and filing jointly Income tax issue: if U.S. home is owned by corporation, consider selling to client to take advantage of this exclusion in the future. Estate tax issue: if U.S. home is owned by corporation protection from estate tax (but client should rent property).

Outright Gifts to Third Parties Avoids inclusion in donor s gross estate Donor will not be subject to tax on income from assets Not subject to United States gift tax if assets are not situated in the United States and donor not domiciled in the United States at time of gift Ensure gift is complete Dominion and control Claim of creditors Gifts to spouse to equalize estate

Gifts in Trust May avoid inclusion in donor s gross estate (depends upon powers retained or given, i.e., power to revoke or power of appointment) Donor may not be subject to tax on income from assets (i.e., if irrevocable domestic trust or foreign trust, but no U.S. beneficiaries) Not subject to United States gift tax if assets transferred to trust are not situated in the United States and donor not domiciled in the United States at time of gift

Gifts in Trust (Continued) Grantor can be a discretionary beneficiary of irrevocable trust Foreign vs. Domestic trusts Citizenship and residence of beneficiaries is important Reporting requirements Ensure gift is complete Dominion and control Claim of creditors

U.S. Pre-Immigration Planning Basis Step-Up Step up the basis of assets which have large built-in gains Check-the-Box Election technique for existing companies Additional gain recognition techniques

U.S. Pre-Immigration Planning Anti-Deferral Regimes Changing the ownership of a particular foreign corporation so that it will no longer constitute a CFC PFICs Check-the-box election Liquidation

How to Maintain Non-U.S. Domicile (if desired) Facts and circumstances Maintain contacts in home country Residence Business interests Other assets Social memberships Religious organizations Statement in will/trusts as to domicile

Pitfalls to Avoid Failing to plan in advance before arriving in the U.S. Failing to verify the domicile and tax status of all members of the family My brother is back at home with my money Certain distributions directly from foreign companies Not addressing home country business operations Tax return and informational return filing obligations for U.S. residents 1040 3520, 3520-A 5471 (CFC), 8621 (PFIC), 8938 (Foreign Asset) FATCA substantial U.S. owner of foreign account FBAR

Circular 230 Disclosure Pursuant to requirements related to practice before the Internal Revenue Service, any tax advice contained in this communication (including any attachments) is not intended to be used, and cannot be used, for the purposes of (i) avoiding penalties imposed under the United States Internal Revenue Code or (ii) promoting, marketing or recommending to another person any tax-related matter.

Contact Information Kathryn von Matthiessen Cantor & Webb P.A. 1001 Brickell Bay Drive, Suite 3112 Miami, FL 33131 Phone: (305) 374-3886 Fax: (305) 371-4564 Email: kathryn@cantorwebb.com Website: www.cantorwebb.com