Corporate International Tax Services

International Tax Lawyer in Washington DC

At Castro & Co., we are prepared to develop and analyze international tax planning strategies and transactions, international tax consequences of cross-border acquisitions and dispositions of businesses, dual consolidated losses, the maximum utilization and substantiation of foreign tax credits, Subpart F taxation, transfer pricing, VAT, the PFIC rules, sourcing of income, foreign individual domicile planning to avoid U.S. residency, and the FIRPTA rules.

We advise domestic and foreign individuals as well as entities on the federal, state, and local tax laws applicable to conducting business in the United States and abroad. From multinational companies with worldwide operations to small companies with foreign income or investments, we are prepared to serve as lead or associate tax counsel.

In planning for international tax matters, we have gained extensive knowledge of the laws of various foreign jurisdictions, including treaty and non-treaty countries in developed and emerging markets. We have extensive knowledge in pre-immigration tax planning and outbound expatriation, including drafting and structuring foreign and domestic trusts and worldwide tax compliance.

Where do our Miami and Washington DC lawyers come in?

These are just some of the areas that Castro & Co.’s International Tax Team can help with:

  • Advise U.S. taxpayers on acquiring foreign entities and structuring their foreign operations
  • Counsel clients regarding the establishment of U.S. entities and the acquisition of U.S. corporations, partnerships, and business assets by foreign companies
  • Advise sponsors and managers of U.S. and non-U.S. investment funds regarding both domestic and foreign tax issues
  • Advise on international transfer pricing
  • Assist with treaty issues, foreign tax credits, and withholding taxes
  • Assist in cross-border leasing, licensing and investing

Our firm can analyze existing or develop new international corporate structures that are designed to substantially mitigate your company’s worldwide effective tax rate. We can also analyze the international tax consequences of cross-border acquisitions and dispositions, restructure transactions to fully utilize excess foreign tax credits, develop structures that lawfully avoid Subpart F, structure intercompany transactions to comply with transfer pricing regulations, restructure investments and holdings to avoid or comply with the PFIC rules, structure real estate holdings to either substantially mitigate or lawfully avoid FIRPTA withholdings, and, lastly, ensure that any available treaty benefits are properly claimed.

Contact Castro & Co.

Find the experienced Washington DC international tax lawyers you need at our firm - we can create a thorough plan and determine the best option for your specific situation. We have offices in Washington DC, Miami, Dallas, and Orlando, but we represent clients all over the world.

Free initial evaluation - call (888) 595-5088!

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