Document Type
Article
Publication Date
1-30-2012
Abstract
This paper describes some of the possible structuring alternatives a foreign investor may use to limit his or her U.S. tax exposure with respect to the ownership and subsequent disposition of U.S. real estate. In explaining the structures, this paper also describes some of the relevant U.S. federal tax consequences as well as the New York tax consequences of such ownership and disposition.
Recommended Citation
53 Tax Management Memorandum 43
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