Bilzin Sumberg’s International Taxation lawyers work closely with entities and high-net worth individuals in creating the most tax-efficient structures for both outbound investments into non-U.S. countries and inbound investments into the United States.

Our outbound planning involves the minimization of local country taxation, the deferral of income earned outside of the United States, foreign tax credit planning, and the efficient repatriation of profits to the United States. Our inbound structuring involves the reduction or elimination of U.S. income taxes on U.S.-source passive income, including real estate sale gains and income connected with a U.S. trade or business, and minimizing the risk of a non-U.S. taxpayer from being engaged in a U.S. trade or business.