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Article Written for:  TaxStringer, the NYSSCPA's (New York Society of Certified Public Accountants)

In Loper Bright Enterprises et al. v. Raimundo, 544 F. Supp. 3d 82, 103-04 (2021), the U.S. Supreme Court overturned the Chevron doctrine, a policy of deferring court discretion to federal agency regulations. Chief Justice Roberts authored the majority (6-3) opinion.

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Article Written for:  TaxStringer, the NYSSCPA's (New York Society of Certified Public Accountants)

In Moore v. U.S. (36 F. 4th 930), the U.S. Supreme Court ruled on a constitutional challenge of IRC section 965, the mandatory repatriation tax (MRT).

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Article Written for:  Florida CPA Today Magazine, FICPA Florida Institute of Certified Public Accountants

For U.S. income tax purposes, foreign trusts are treated as non-resident/non-citizens (NRNC), subject to U.S. income tax only on U.S. source income.[1]

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2024 Asset Protection Update
In this seminar, we provide an asset protection update for 2024. We discuss considerations for entity and trust formation, choosing jurisdictions, choice of governing law and international expatriation and pre-immigration planning. Attendees will learn techniques for effectively structuring assets through LLCs, trusts, titling, and applicable exemptions, along with a practical discussion on new cases and prudent asset protection practices and misconceptions. The discussion also includes a comprehensive tax overview of the practice.

Friday, August 2nd @ 1:30 PM ET
Visit the FICPA website for more information.
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Article Written for:  Florida Bar Journal

A foreign trust is generally treated as a non-resident/non-citizen (NRNC) for U.S. tax purposes. Foreign trusts are therefore subject to U.S. income tax only on U.S. source income.[1]

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Cryptos, Blockchains, and Taxation: A Primer for CPAs
In this seminar, we discuss cryptocurrencies and blockchains in the context of federal taxation and financial accounting. Attendees will learn about the taxation and practical uses of borderless digital assets. Compliance with current U.S. regulations is also discussed.

OnDemand Course Offering
Visit the FICPA website for more information.
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The Inflation Reduction Act and its impact on Corporate and Personal Planning
In this seminar, we present an overview of the new Act and its effect on domestic and international protective structuring. Discussion will include relevant tax avoidance opportunities and the most effective asset protection options. Pre-immigration and expatriation planning are also discussed.

December 16th @ 3:10 PM ET
Visit the FICPA website for more information.
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Tax Issues Raised by the Onset of U.S. Business Operations
In this seminar, we discuss the tax issues relevant to (i) businesses considering U.S. operations and (ii) their owners and executives. Attendees will learn about cross-border corporate tax concerns, pre-immigration planning, and the U.S. estate and gift tax.

Jim Dawson is CEO of Global Tax Focus, an international tax strategy and compliance practice based in Atlanta. He is a Certified Public Accountant and an international business and tax advisor to global enterprises. He can be reached at (404) 855-0795.

Wednesday, May 26th @ 12 Noon ET
Register for this LIVE (no cost) seminar.
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Pre-Immigration Planning
Learn how to employ the most relevant tax avoidance strategies during foreign residency and upon immigration.

Thursday, April 22nd @ 12 Noon ET
Register for this LIVE (no cost) seminar.
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Forster Boughman & Lefkowitz

Our mission is to serve as a resource for complex domestic and international business transactions, tax, health law, asset protection, and related litigation.

Our firm is an approachable and economic alternative to large national and international law firms.  Se habla español.



 

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ForsterBoughman
2200 Lucien Way, Suite 405
Orlando (Maitland), Florida  32751


Local:  (407) 255-2055

Toll-free:  (855) WP-GROUP

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Office hours:  Open weekdays
from 8:30 AM to 5:30 PM