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Offices at BETHESDA, VANCOUVER, NEW YORK, and TYSON'S CORNER
301-986-2200
301-986-2200
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Practice Areas
Business Planning
Cross Border Tax Planning
Fatca Foreign Account Tax Compliance Act
Estate Planning; Probate, Estate, and Trust Administration, and Elder Law
Tax Controversy
Probate Estate And Trust Administration
Foreign and Domestic Asset Protection Planning
Tax Planning and Compliance for U.S. Beneficiaries of Foreign Trusts and Estates
Pre-Immigration U.S. Tax Planning
Offshore Voluntary Compliance Program and Streamlined Compliance Programs
Expatriation of U.S. Citizens and Renunciation of Permanent Resident Status
U.S. tax planning for foreign businesses and individuals
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Robert E. Ward
Richard S. Chisholm
Robert P. Oliver
Alison Keller-Micheli
S. Mona Reza
Ryan A. Logan
Krista Robertson
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Articles
The §385 Debt Equity Regulations: Who Got a Pass and Who Should Worry (December 2020)
The Exit Tax’s Inconsistent Treatment of Trusts (November 2020)
Hard Times in the Land of Plenty: Depressed Asset Values Create Opportunities for Wealth Transfers for U.S. Persons (Part 2) (September 2020)
Act Now Before This Valuable Estate Tax Saving Opportunity Expires (August 17, 2020)
Is the IRS ending its Streamlined Filing Compliance Procedures? (August 3, 2020)
Hard Times in the Land of Plenty: Depressed Asset Values Create Opportunities for Wealth Tansfers for Non-U.S. Persons (Part 1) (July 2020)
Foreign Incorporations of U.S. Real Estate: No You Can’t; Yes You Can
IRS Provides Reporting and Penalty Relief for Canadian RESP and RDSP Arrangements, As Well As Other Foreign Retirement and Non-Retirement Plan Trusts
The Hazards of Common Reporting Standard Advice: Model Mandatory Disclosure Rules for CRS Avoidance Arrangements and Opaque Offshore Structures
Foreign Incorporations of U.S. Real Estate: No You Can’t; Yes You Can
Tax Relief for Certain Expatriates: Tax Compliance After the Fact
GILTI Until Proven Corporate: The CFC Dilemma of Individual U.S. Shareholders: New Developments
What!? They Won’t Accept My Power of Attorney!
Tax Structuring of U.S. Cannabis Companies for Higher Returns and Foreign Investment
Proposed Regulations Provide Further Guidance to Taxpayers to Qualify for the §199A Deduction for Qualified Business Income
Tax Relief Is Not Just for U.S. Persons: The 20% Deduction for Qualified Business Income Under New Code §199A
GILTI Until Proven Corporate: The CFC Dilemma of Individual U.S. Shareholders
IRS Brings the Hammer Down on Those Who Waited
Proposed Regulations Provide Further Guidance to Taxpayers to Qualify for the Section 199A Deduction for Qualified Business Income
Wonderland Redux: The Meaning of ‘Willful’
Tax Cuts and Jobs Act of 2017 – International Tax Provisions
Impulse Buying in the Wake of Tax Reform
Tax Cuts and Jobs Act of 2017 — Business Tax Provisions
Tax Cuts and Jobs Act of 2017 — Individual Tax Provisions
IRS Announces Closure of 2014 OVDP
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Common Sense Thoughts on Asset Protection
Common Sense Thoughts on Asset Protection
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