Tax Law
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Asset Protection/Wealth Preservation, Tax And Estate Planning: 2020 Year End Notes12/02/2020 | By: Asher Rubinstein, Esq.
As this unprecedented year comes to a close, we offer some planning tips to our clients, colleagues and friends of the firm regarding their assets, tax and estate concerns. Foremost, there are some time-sensitive ways to save taxes that could result in much more money for your family.
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Tax Increases After Election Day? Here’s What To Do Now10/19/2020 | By: Asher Rubinstein, Esq.
When the tax law changed in 2017, the benefits to taxpayers were expected to last through 2025. The favorable tax changes included an increase in the amount exempt from estate tax, from $5 million to $11 million per person, and a maximum capital gains tax rate of 20%. With the upcoming presidential and congressional elections, and calls by politicians to undo these favorable tax laws, our clients wonder what they should do now, before the tax law changes again.
Fortunately, there are many strategies that allow us to benefit from the current tax law, and to lower our taxes through already-proven techniques. -
Where Do You Want to Park Your Money?
Key Factors in Picking a JurisdictionFebruary 2020 | By: David I. Faust, Esq.| GDB 2020 Winter NewsletterBeginning in the 1900s, “financial centers” were established in a wide variety of offshore jurisdictions around the world. They were essentially tax havens. Recently the challenges to these choices have been evolving. With today’s changes, key factors must be considered when picking a jurisdiction.
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Achieving Tax-Free Life InsuranceFebruary 2020 | By: Asher Rubinstein, Esq. | GDB 2020 Winter Newsletter
If you own or control a life insurance policy, then the proceeds of the policy may be included in your estate at death and subject to estate tax. This comes as a surprise to many people who are under the impression that life insurance is tax-free. But through various tax and estate planning methods, estate tax can be avoided or minimized.
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In January, partner Asher Rubinstein’s Letter to U.S. Trade Representative Opposing Tariffs on Wine, Cheese and Olive Oil from Europe was published in Thomson Reuters’ Taxnet Pro.2/25/2020
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Fish or Fowl2/6/19 | By: David I. Faust, Esq.| GDB 2019 Winter Newsletter
Whether shares representing ownership of a cooperative apartment are real property or personal property has perplexed estate lawyers and their clients, especially when the owner/decedent is a non-domiciliary of New York. Is succession of the shares governed by the laws of New York, where the co-op is located – the case if the shares are realty – or the laws of the domicile of the decedent? If there is no will, or if a spouse elects against the will, which law applies?
A recent Supreme Court, New York County, case sheds some, albeit dim, light on this question. -
David I. Faust, Esq. Presented on International Tax Law at the STEP-Israel Conference in Tel Aviv6/2018
Partner David I. Faust presented on international tax law at the 20th annual STEP-Israel Conference in Tel Aviv. He also was a speaker on cross-border investments, inheritance and taxation at a joint meeting between the Committee for Private International Law of the Israel Bar Association and members of the New York State Bar Association's International Section.
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An Opportunity is Soon Closing to Voluntarily Disclose Offshore Assets to the IRS4/4/18 | By: Asher Rubinstein, Esq. and David N. Milner, Esq. | GDB 2018 Spring Newsletter
Since 2009, the IRS Offshore Voluntary Disclosure Program (OVDP) has been an opportunity for U.S. taxpayers who failed to report foreign income and assets to become compliant, pay back taxes, lower their potential penalties and avoid criminal prosecution. In March, the IRS announced that the OVDP will close on September 28, 2018. Only a few months remain to bring offshore assets into IRS compliance via the OVDP.
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IRS Focus on Bitcoin and Virtual Currencies4/4/2018 | By: Asher Rubinstein, Esq.| GDB 2018 Spring Newsletter
The IRS treats virtual currency as property, rather than a currency, which means that taxpayers are required to pay taxes on any gains when they “use” or sell the currency. As an indication of the seriousness of the IRS focus on tax compliance for virtual currencies, the IRS recently served Coinbase, the largest public virtual currency exchange, with a summons seeking information on Coinbase customers who may not have properly reported profits to the IRS.
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New IRS Rules Govern Audits of Partnerships and LLCs Treated as Partnerships: You May Need to Revise Your Entity’s Governing Documents1/29/2018 | By: David N. Milner, Esq. & Asher Rubinstein, Esq. | GDB 2018 Winter Newsletter
For tax years beginning after December 31, 2017, the IRS has adopted new rules which apply to income tax audits of partnerships and limited partnerships. These new audit rules are important because they may expose those who were not partners during the tax year under audit to the tax errors and liabilities of the partnership, which, under the prior rules, would have been the responsibility of those who were partners during the year under audit. Minimize this new risk via proper planning and drafting.
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Tax Reform 201712/26/2017
This past Friday the President signed into effect a new tax law which will impact most if not all Americans. While the effective date of most of the provisions of the new law is not until January 1, 2018, certain changes made by the new tax law should be addressed immediately in order to take advantage of the law before it changes.
This alert summarizes the most significant changes and provides specific recommendations for action you may want to consider in light of these changes. -
Year End Tax Planning Concepts12/04/2017
Although year-end tax planning always presents challenges, recent tax reform proposals have created a unique set of challenges for taxpayers. Despite the current uncertainty concerning tax reform, it is important to remember that the proposals are just that: proposals. This memo highlights several potential income and estate tax-saving opportunities to consider based on current tax law, as well as strategies to receive the maximum benefit under current law and/or protection from any possible future changes. As with planning opportunities it is important to first do the math to see if any potential opportunity will result in actual savings. The Tax, Trusts and Estates practice at Gallet Dreyer & Berkey, LLP stands ready to assist you in making these determinations.
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Offshore Accounts, IRS Compliance and the Streamlined Voluntary Disclosures: Lower Penalties, But Bigger Risks
Conducted by GDB partner, Asher Rubinstein7/17/2017 | Clear Law Institute Webinar -
Offshore Versus Domestic Asset Protection7/5/2017 | By: Asher Rubinstein, Esq. | GDB 2017 Summer Newsletter
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Should Everyone with Undeclared Foreign Assets Make a Voluntary Disclosure to the IRS?06/25/2017 | Asher Rubinstein, Esq.
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Document Retention: How Long is Enough?3/10/2017 | By: David N. Milner, Esq. | GDB 2017 Spring Newsletter
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A Current Assessment of the IRS Streamlined Offshore Procedures04/21/2016 | By: Asher Rubinstein, Esq. | Journal of Taxation and Regulation of Financial Institutions
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Why a Trust, and What about a Will?03/09/2016 | By: Asher Rubinstein, Esq.
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How to Lower Your Estate Tax Liability on the Federal and State Levels02/24/2016 | By: Asher Rubinstein, Esq.
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Foreign Investors: Know How to Navigate U.S. Tax Consequences2/11/2016 | Winter 2016 Newsletter
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New Requirements for New York Non-Profit Organizations10/08/2015 | By: Jay L. Hack, Esq. | Winter 2015 Newsletter
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Year-End Legislation Extending Federal Tax Provisions10/06/2015 | Winter 2015 Newsletter
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New York State Estate Tax Changes - Now You Really Need to Do the Math06/10/2014 | Summer 2014 Newsletter
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Tax Lien Foreclosure Proceedings on the Rise06/05/2014 | Summer 2014 Newsletter
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2012/2013 Tax Law Changes12/02/2013 | Winter 2013 Newsletter
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Offshore Planning in a Transparent World02/25/2013 | By: Kenneth Rubinstein, Esq.
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The U.S. Taxpayer and the Foreign Trust
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Bypassing the Capital Gains Tax with Charitable Remainder Trusts02/23/2013 | By: Kenneth Rubinstein, Esq.
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If My Estate Is Less than $5 Million, Then I No Longer Need to Concern Myself about Estate Planning, Right...?12/10/2012 | Winter 2012 Newsletter
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Congressional Gridlock Creates Tremendous Uncertainty for Year-end Tax Planning09/08/2012 | Fall 2012 Newsletter
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New IRS Initiative Targeting Those Hiding Assets Off-Shore04/08/2011 | Spring 2011 Newsletter
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Tax Law Changes for 201101/01/2011 | January 2011 Tax Update Newsletter
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The Role of the Attorney in the Voluntary Disclosure Process11/23/2010 | Tax Notes International, Vol. 60, No. 8
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Uncertainty Regarding Tax Law Changes in 2011 - What Taxpayers Should Be Aware of09/10/2010 | Fall 2010 Newsletter
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The Death of Bank Secrecy02/24/2010