JASON FREEMAN, JD - The FIRPTA Withholding Obligation

Section 1445 of the Internal Revenue Code generally imposes a withholding obligation on purchasers (i.e., the “transferee”) with respect to a seller’s disposition of a “U.S. real property interest” (USRPI).  Under section 1461, the transferee/purchaser is liable for withholding tax on the disposition.  Withholding is a mechanism to collect the tax that is imposed by the Foreign Investment in Real Property Tax Act (“FIRPTA”).  Notably, though beyond the scope of this article, the FIRPTA statute and regulations contain several exceptions to the withholding requirement, and in certain circumstances, allow a transferee to obtain a withholding certificate to reduce the withholding agent’s withholding liability.

The FIRPTA regulations impose liability on any person required to withhold who fails to do so.  The regulations provide that:

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Larry Stolberg

On December 18th, President Obama signed H.R. 2029, using the tax (the “Protecting Americans from Tax Hikes Act of 2015”) and spending bills (Consolidated Appropriations Act, 2016) to fund the government for its 2016 fiscal year.

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Larry Stolberg

As you may be aware of there is a federal tax withholding requirement on the sale of U.S. real estate by non-U.S. persons. This does not exempt the vendor from filing a U.S. tax return to report the sale and paying any tax payable or requesting a refund for excess federal tax withholding.

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The T1134 and T1135 are a sample of Canadian foreign information returns like the U.S. 8938, 5471 or 8865.

A number of Canadians are investing in the U.S. real estate market with a U.S. limited partnership whose limited partners are solely Canadian residents and the general partner is a U.S. C corporation whose shareholders are also Canadian residents.

For those who want limited liability protection, this type of Read More

Foreign investors are generally not subject to US tax on US source capital gain unless it is effectively connected with a US trade or business, or it is realized by an individual who meets certain physical presence requirements.

Gain from the disposition of a U.S. real property interest (USRPI), Read More