The University of San Diego School of Law – Chamberlain International Tax Institute

Mérida – the Place to be in February (19th and 20th)

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The implications of the Aroeste v United States – Order (Nov 2023) particularly for millions of taxpayers globally and “U.S.” taxpayers affected by pertinent tax treaty provisions, will be a focal point of discussion at the upcoming international tax conference in February.

The University of San Diego School of Law – Chamberlain International Tax Institute will take place on February 19th and 20th, 2024, at the International Convention Center in Mérida, Yucatán, México. You can register for the conference – HERE –

Among the courses offered, there will be a detailed examination of- Aroeste v. the United States:  Limits on Government Authority Re: Tax Treaty Law ++– along with other international tax topics and sessions featuring much Moore:

  • United States Supreme Court – Tax Decisions & Moore
  • International Tax Reporting: New Reporting of International Partnerships – K-2s & K-3s
  • United States-based Cross-Border Real Estate Investments (Advanced)
  • U.S. Investor Visa Options and Limitations
  • California, Texas & Florida Probate Proceedings of Cross-Border Estates
  • Corporate Transparency Act/anti-money-laundering FinCEN Reporting
  • Avoiding Estate Taxes on U.S. – “Situs” Assets (risks in the Bolsa and opportunities)
  • Latest Developments in International Corporate Reorganizations
  • Check the Box Planning Including Pre-Immigration (Asset Planning – + International Companies)
  • Pitfalls of International Trusts with U.S. Beneficiaries (in a high-interest rate environment)
  • EB-5 Visa Requirements and Tax Implications
  • Aroeste v. the United States:  Limits on Government Authority Re: Tax Treaty Law ++
  • Pillar 2 in Effect:  First Qtr 2024 Planning & Compliance + Pillar 1 with Public Comments – December 11th, 2023
  • Expiring TCJA International Tax Provisions: 2025 Soon Upon Us
  • International Tax Advisors: How to – “Go directly to Jail, Do Not Pass “GO”, Do Not Collect $200!”
  • International IRS & SAT Collection Enforcement – (cross-border tax judgments and liens)
  • Cross-Border Aircraft Acquisitions, Financing and Leasing; Taxes, Aircraft Registration & Permitting
  • Tax Treaty Interpretation – Malta Pension Plans ++

– REGISTER HERE –