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Gary & Brian

Gary & Brian

The Death Tax and Democrat Control
The shift in government control coupled with the global pandemic present estate planning opportunities, due to lower asset valuations and interest rates. Federal transfer taxes may be avoided by moving assets at a reduced gift tax. The imminent risk of increases in U.S. transfer taxes calls for urgency in such planning.

Thursday, January 14th @ 12 Noon ET
Register for this LIVE (no cost) seminar.
Foreign Asset Protection Trusts
In this seminar, we present an overview of foreign asset protection trusts, examination of different jurisdictional options, and federal taxation for U.S. resident and non-resident grantors, trustees, and beneficiaries, and related compliance issues.

Tuesday, November 10th @ 12 Noon ET
Register for this LIVE (no cost) seminar.

Article Written for:  Florida Bar Journal

Abandonment of U.S. citizenship or long-term residency (by non-citizens) may trigger U.S. income tax. The “expatriation tax” consists of two components: the “exit tax” and the “inheritance tax.” Both may be triggered upon abandonment of citizenship or (for non-citizens) abandonment of a green card by a long-term resident. In this first of our two-part series, we explain some of the principal terms of the exit tax.

Foreign Trust Tax Compliance
In this seminar, we present an overview of federal compliance rules regarding the administration of foreign trusts, foreign accounts owned by both domestic and foreign trusts, and required filings under the Internal Revenue Code, Financial Crimes Enforcement Network (FinCEN), and Foreign Account Tax Compliance Act (FATCA). This seminar also provides an overview of the applicable forms required to remain compliant under federal law.

Tuesday, September 8th @ 12 Noon ET
Register for this LIVE (no cost) seminar.
Foreign vs. Domestic Asset Protection Trusts
This seminar presents an overview of asset protection trusts, including their protective characteristics and taxation under U.S. law. Attendees will learn the pros and cons of domestic vs. offshore trust planning, the original form of asset protection. Discussions include how to effectively plan using both foreign and domestic trusts for different protective and tax strategies.

Thursday, July 16th @ 12 Noon ET
Register for this (no cost) live seminar.
Expatriation and the Permanent Estate Tax Taint of Section 2801
In this seminar, we present an overview of expatriation by U.S. citizens and U.S. residents under section 877A of the Internal Revenue Code.  We also examine the potentially permanent estate and gift tax taint of expatriation under section 2801.

Thursday, June 25th @ 12 Noon ET
Register for this (no cost) live seminar.
U.S. Taxation of Trusts - Domestic and International
In this seminar, we explain the U.S. tax impact of creating, funding and operating both U.S. and foreign trusts. Issues addressed are relevant to citizens, resident non-citizens and non-resident aliens. Topics discussed include the tax impact of a change in status of the grantor, trustee and beneficiaries. Planning strategies presented include gift and estate tax avoidance, pre-immigration and pre-expatriation planning, as well as avoidance of the deemed sale of trust assets.

Tuesday, June 9th @ 12 Noon ET
Register for this (no cost) live seminar.
Expatriation Planning for U.S. Citizens and Residents
This seminar presents an overview of the U.S. tax impact of expatriation. Discussions include the “exit tax” triggering the deemed sale of assets world-wide, as well as, the emigrant’s estate and gift tax obligations.  Participants will learn how both U.S. citizens and non-citizen residents may avoid triggering the expatriation tax.

Tuesday, May 19th @ 12 Noon ET
Register for this (no cost) live seminar.
Learn about the tax impact of creating, funding and operating both national and foreign trusts. Issues addressed are relevant to citizens, resident non-citizens and non-resident aliens. Topics discussed include gift and estate tax avoidance, pre-immigration and pre-expatriation planning, as well as avoidance of the deemed sale of trust assets.

Marriott Jacksonville
4670 Salisbury Rd
Jacksonville, FL 32256

For more information, please contact the FICPA Jacksonville Chapter.
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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

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