Foreign Person Investing in U.S. Real Estate



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Foreign Person Investing in U.S. Real Estate Ian Shane Golenbock Eiseman Assor Bell & Peskoe LLP TTN New York Conference 2013

Foreign Purchases of U.S. Homes Foreign Home Buyers want to: Minimize tax on sale of the property Avoid paying 30% withholding tax on imputed rent Avoid Estate Tax on death of owner Minimize compliance and contact with U.S. tax system

Foreign Purchases of U.S. Homes Acquisition: But: No immediate tax consequences to buyer Although ownership does not make foreign person U.S. tax resident it may be a factor Mortgage interest deduction only available for loan within 90 days of purchase FIRPTA Withholding Agent Issues Gift Tax Issues

Foreign Purchases of U.S. Homes Ownership and Occupation When a home is owned directly by an individual there are no Income Tax consequences However, if a home is owned by an entity, imputed rental issues can arise If the home produces no income, no tax return needs to be filed

Foreign Purchases of U.S. Homes Sale The Foreign Investment in Real Property Tax Cut Under ( FIRPTA ) foreign persons are subject to tax on capital gains from U.S. real property A non-resident can qualify for the $250,000 per individual owner tax exclusion on the sale of a principal residence

Foreign Purchases of U.S. Homes Transfers Gifts by non-residents of U.S. real estate are subject to U.S. Gift Tax If a non-resident individual dies owning U.S. real estate, U.S. Estate Tax is payable on the value of the real estate. No $5M exemption from Gift and Estate Tax is available to non-residents

Direct Ownership Foreign Purchases of U.S. Homes Structuring Advantages Simple Structure Low Cost No Imputed Rental Issues Qualifies for Long Term Capital Gain Qualifies for Principal Residence Tax Exclusion Disadvantages Subject to U.S. Estate Tax No Privacy

Foreign Purchases of U.S. Homes Single Member LLC Advantages Offers Limited Liability Protection Privacy Disregarded for Federal Income Tax No Imputed Rental issues Disadvantages Cost of Formation and Registration LLC s are often treated as Corporations outside the U.S. Tax Mismatch Subject to U.S. Estate Tax

Foreign Purchases of U.S. Homes Grantor Trust: Advantages Grantor treated as owner for U.S. income tax purposes Privacy if grantor not trustee Disadvantages Cost of formation and professional trustee Some complexity Subject to U.S. Estate Tax Trusts not recognized in some countries

Foreign Purchases of U.S. Homes Non Grantor Trust: Advantages Long Term Capital Gain Rate Available Avoids U.S. Estate Tax on death if grantor does not have a retained interest Privacy Disadvantages U.S. Gifts Taxes arises if property transferred into a Non Grantor Trust Non Grantor Trust pays income tax at top rate applicable to individuals (currently 39.6%) Imputed rental income if foreign Non Grantor Trust Expensive and tax complex

Foreign Purchases of U.S. Homes Domestic Corporation Advantages Privacy Shares exempt from U.S. Gifts Tax Exempt from U.S. Estate Tax if corporation owned by foreign entity Disadvantages Subject to U.S. Estates Tax if corporation owned by foreign individual Imputed rental income if shareholder lives rent free in property Gain on sale taxed at 34% No Principal Residence Tax Exclusion Higher costs than direct ownership Taxation of dividend distribution upon sale of property

Foreign Purchases of U.S. Homes Foreign Corporation: Advantages Privacy Exempt from U.S. Estate Tax Exempt from U.S. Gifts Tax Avoids almost all contact with U.S. tax system Disadvantages Gain on sale taxed at 34% No Principal Residence Tax Exclusion Higher cost of ownership Imputed rental income

Two Alternative Tax Regimes For Rental Investments 1. Passive Income Regime 2. Active Income Regime

U.S. Taxation of Rental Income Passive Income also known as FDAP Subject to 30% Withholding Tax No expenses are tax deductible Rent includes landlords expenses paid by tenant-rev. Rul. 73-522 No tax return filed by foreign owner

U.S. Taxation of Rental Income Leasing can mean foreign lessor is engaged in a U.S. Trade or Business Rent becomes U.S. Effectively Connected Income (ECI) ECI taxed as net income at scale rates after expenses

U.S. Taxation of Rental Income If foreign lessor is engaged in a U.S. Trade or Business Foreign lessor must file U.S. tax return Foreign corporate lessor may be subject to U.S. Branch Profits Tax

U.S. Taxation of Rental income If U.S. rental income is to be taxed as ECI, foreign investors management of their property must be: Considerable, Continuous and Regular Pinchot v. Commissioner (1940)

U.S Investment in Rental Income U.S. Internal Revenue Code Permits - Foreign Investor to elect ECI tax treatment IRC Section 871(d)

Sale of U.S. Real Estate U.S. tax rules contained in: Foreign Investment in Real Property Tax Act 1980 (FIRPTA)

Sale of U.S. Real Estate Gain from the sales of U.S. real property Interest ( USRPI ) owned By non- U.S. persons are taxed as if: Foreign seller is engaged in a U.S. trade or business Resulting in U.S. taxation of any gain on sale

Sale of U.S. Real Property What is a USRPI? Land and Building Growing crops and timber, mines, wells and natural deposits in the ground Includes Associated Personal Property Includes direct or indirect rights to share in appreciation in value or net proceeds of profits from real property U.S. Real Property Holding Company ( USRPHC )

Sale of U.S. Real Property When A non-u.s. person sells a USRPI - Buyer domestic or foreign must withhold 10% of gross sale proceeds and pass it on to the IRS This leads to over withholding

Sale of U.S. Real Property To avoid over withholding seller can obtain a FIRPTA Withholding Certificate Seller must calculate FIRPTA gain IRS will issue certificate instructing buyer to withhold the FIRPTA gain amount only

Sale of U.S. Real Property Normal Rule: Sale of shares in a U.S. corporation by non-u.s. person not subject to U.S. income tax FIRPTA Rule: Sale of shares in a USRPHC are subject to U.S. tax

Sale of U.S. Real Property The term USRPHC means Any Corporation if: The Fair Market Value of it s USRPI equals or exceeds 50% of: Its USRPI Its interest in real property outside U.S. Any other assets used in trade or business

Sale of U.S. Real Property Rules permit look through of USRPHC to its 50% subsidiaries Corporation will not be a USRPHC if stock its regularly is traded and taxpayer owns 5% or less