Hodgson Russ’s estates and trusts attorneys have extensive experience assisting clients with cross-border interests in protecting their assets. Whether for high-net-worth individuals, businesses, nonprofits, or corporate trust departments, we advise clients on the full range of the U.S. legal aspects of planning, administration, settlement, and taxation of estates and trusts.
We create and implement effective estate plans that take into account the effects of U.S. tax laws on U.S. family members and on non-U.S. families that own U.S. assets. We collaborate with clients’ trusts and estates lawyers in their countries of residence to ensure estate plans that coordinate the laws of multiple jurisdictions. We have significant experience advising on related income tax issues that can arise for international families, including ownership of interests in foreign trusts, corporations, or other entities. Hodgson Russ attorneys also represent such families in income, gift, and estate tax controversies with the IRS. In addition, with offices in New York State and Florida, Hodgson Russ is particularly well positioned to assist clients who spend time in both states.
Hodgson Russ is known for developing and implementing strategies to protect the assets of our international clients from creditors, including spousal creditors in the event of a divorce. This can reduce significantly, and in some cases eliminate completely, death taxes that can otherwise consume more than half of the wealth accumulated over a lifetime, allowing these asset-protection and tax-saving features to continue for future generations. Hodgson Russ was among the first law firms to implement estate planning strategies involving the use of family limited partnerships and related entities.
Hodgson Russ attorneys serve as advisors to nonprofit organizations with cross-border interests to develop strategies to enhance the tax benefits of lifetime and testamentary charitable giving, both to public charities and to private and supporting foundations. Hodgson Russ attorneys routinely counsel foreign clients regarding the effective use of living trusts and durable powers of attorney to avoid the need for expensive and time-consuming guardianships and probate, and thus to enable the families of our clients to settle the affairs of a deceased family member with minimum delay and publicity and at minimum cost.
Hodgson Russ’s estates and trusts attorneys work closely with the firm’s business and tax attorneys to structure personal retirement plans for high-net-worth individuals and family gift programs to accomplish the multigenerational transfer of assets, as well as to integrate corporate and operational business considerations in the sale or other transfer of closely held corporations to family members or others. The focus is on minimizing taxes and facilitating family and estate-planning objectives. This area of practice encompasses advice on insurance planning, structuring family partnerships, and business-succession planning.
In conjunction with Hodgson Russ’s Employee Benefits Practice, our estates and trusts attorneys offer international clients highly specialized experience and advice in the field of taxation of pension plans, profit-sharing plans, IRAs, and other forms of retirement plans. In addition to working with businesses, professional practices, and self-employed individuals on the design and structure of retirement plans, we frequently advise clients concerning tax and other issues related to distributions from qualified plans and IRAs. Absent successful planning through a complicated maze of federal and state pension and tax rules and regulations, retirement plan assets are subject to both income and estate taxes that can consume in excess of 70 percent of the asset value.
Occasionally litigation arises in cross-border situations with respect to various estate and trust instruments, including will contests, interpretation of wills and trust agreements, accountings, and breach of fiduciary duty issues. Our experience ranges from simple will contests to complicated and occasionally high-profile cases. We have experience dealing with the IRS and state departments of taxation and revenue and, when necessary, we represent our clients in connection with tax audits and litigation. We are frequently consulted by accountants, trust companies, and other advisors to assist in a "special counsel" capacity in various tax dispute resolution matters.
Clients advocating for or against changes in the U.S. tax law and regulations are assisted by Hodgson Russ’s government relations team. Our international clients are alerted to legislative and administrative developments by receiving "early warning" services.
Hodgson Russ has been awarded a prestigious "Best Law Firms" National Tier 1 ranking by Best Lawyers/U.S. News & World Report in the Trusts & Estates Law category.
- Cross-Border Limited Partnership Structuring for U.S. & Canadian Citizen-Owned Business
- Tax and Estate Planning Advice to Trustees and Advisors of Foreign-Based Family Trusts
- U.S. Income and Estate Tax Planning Advice to Canadian Clients With Respect to U.S. Real Estate Investments
- U.S. Tax & Corporate Counsel for Multinational Joint Venture Group of Entrepreneurial Companies With Ties to Hong Kong, Canada, and the United States
- U.S. Tax Planning for U.S.-Citizen Owners of Canadian Enterprise
- Buffalo Business First, March 21, 2014
- Press Release, March 20, 2014
- Toronto, ON, October 17, 2015
- Canada/U.S. Crossboarder Estate and Income Tax PlanningToronto, Ontario, September 17, 2014
- STEP Connection, Toronto Branch Newsletter, April 2016
- Canadian Tax Highlights, September 2014
- Lawyers Weekly, November 29, 2013
- Canadian Tax Highlights, February 2010
- Canadian Tax Highlights, September 23, 2009
- Canadian Tax Highlights, December 2008
- Canadian Tax Highlights, August 15, 2008
- Lawyers Weekly, May 9, 2008
- Canadian Tax Highlights, November 2007
- Canadian Tax Highlights, October 2007
- Canadian Tax Highlights, July 18, 2007