
Schedules K-2 and K-3 were introduced to standardize international tax reporting, but for many practitioners, they created a new layer of complexity rather than clarity. The real challenge is not identifying that a K-2 or K-3 exists—it is understanding how to use the information correctly in return preparation.
This program focuses on the practical application of K-2 and K-3 reporting, with an emphasis on sourcing of income, foreign tax credit implications, and integration into Form 1116. Participants will learn how to identify the key data points within K-2/K-3 that impact individual and entity returns, and how to avoid common errors when translating this information into U.S. tax reporting.
The program also addresses the role of foreign partnerships and the interaction with Form 8865, including how ownership structures and reporting obligations affect the information presented on K-2 and K-3. Special attention is given to sourcing rules, limitation baskets, and the proper treatment of foreign taxes paid or accrued.
Emphasis is placed on practitioner decision-making and workflow: what to review, what to question, and how to efficiently use K-2/K-3 data to complete Form 1116 accurately. This program is designed for practitioners who are already encountering these schedules and need a clear, practical approach to applying the information in real-world scenarios.
Learning Objectives (NASBA)
Upon completion of this program, participants will be able to:
-Identify key information reported on Schedules K-2 and K-3 that is relevant to U.S. tax return preparation.
-Determine the sourcing of income and classification of foreign taxes using K-2/K-3 data.
-Apply K-2/K-3 information to the preparation of Form 1116, including foreign tax credit limitation considerations.
-Evaluate the impact of foreign partnerships and Form 8865 reporting on K-2/K-3 disclosures.
-Recognize common errors in interpreting K-2/K-3 and implement strategies to avoid misreporting.
Only available for TPP unlimited CE subscribers.
"Our best deal is always to become a monthly subscriber"
*Self-Study recording not available for NASBA CPE credit.
IRS Program #: 7Q3WU-T-00885-26
CTEC Course #: 6248-CE-00231

Rita Ryan is the Founder of RRITS and a seasoned Tax Attorney with more than 18 years of experience advising clients on cross-border personal/business taxation, international investment structuring, multi-jurisdictional estate planning, and U.S. tax compliance obligations arising from global activities and holdings. She is widely regarded for her ability to navigate complex international tax regimes and translate evolving regulatory requirements into practical, strategic guidance.
In addition to her client-facing work, Rita serves as a trusted advisor to fellow tax professionals, providing specialized support in identifying international reporting obligations, advising on complex filings, and reviewing workpapers and forms to ensure technical accuracy in an increasingly dynamic international compliance environment.
Prior to founding RRITS, Rita served as Chief Financial Officer and Head of Private Client Services at M+, where she focused on integrated tax, business, and wealth preservation planning for high-net-worth business owners and their families. Earlier in her career, she founded and led Wolf & Co.’s International Tax Services Practice, advising both individuals and entities on the tax planning and compliance aspects of international ownership structures. Rita began her legal career in private practice as an Associate Attorney at Vacovec, Mayotte & Singer, LLP, concentrating on international and domestic taxation, estate planning, and tax controversy matters.
Rita is also an Adjunct Professor in the Graduate Tax Program at Boston University School of Law, where she co-founded and co-teaches the course Foreign Information Reporting and Withholding. In addition, she regularly teaches advanced international tax topics for Tax Practice Pros, LumiQ, and the National Association of Enrolled Agents, contributing to the education of practitioners nationwide.
Varies
This on-demand webinar series covers criminal tax, IRS collections, international reporting, tax controversies, AI in tax practice, and entertainment industry taxation, equipping professionals with practical strategies for compliance, dispute resolution, and risk management
2 IRS CE/2 CTEC/2 NASBA CPE*
Taxpayers with foreign financial assets may be required to file both the Foreign Bank Account Report (FBAR) and Form 8938 (Statement of Specified Foreign Financial Assets)—but understanding when and how to file can be complex. This webinar guides tax professionals through the key differences, filing thresholds, penalties, and reporting obligations for each form. Learn how to determine filing requirements, avoid common compliance pitfalls, and effectively advise clients with international financial interests. Ensure your clients stay compliant and mitigate risks with a clear understanding of these critical reporting requirements. Only available for TPP unlimited CE subscribers.
4 Free NY & NJ CLE, CPE and 4 IRS CE/4 NASBA CPE Credits
This in-depth program provides comprehensive coverage of the tax implications for U.S. taxpayers with foreign income and assets. Participants will explore the complexities of reporting foreign income, compliance requirements for foreign asset disclosure, and strategies for minimizing tax liabilities under international tax treaties. The program addresses key areas such as the Foreign Account Tax Compliance Act (FATCA), the Foreign Bank and Financial Accounts (FBAR) reporting, and the taxation of foreign trusts. It also includes a discussion on the tax treatment of foreign earned income and the benefits of the Foreign Earned Income Exclusion (FEIE) and Foreign Tax Credit (FTC). The session features practical examples and case studies to help attendees navigate the intricacies of international taxation effectively and ensure compliance with both U.S. and foreign tax laws.
3 Free NY & NJ CLE, CPE and IRS CE/NASBA CPE Credits
Due to the audio issues that occurred during the Tuesday, May 27th presentation, Mr. Agostino has generously offered to present this webinar again. If you are unable to attend the live session, a high-quality recording will be available on Sunday morning. IRS CE is available on the replay. Tax Professionals that attend are encouraged to accept a pro bono tax controversy case assignment from NYCLA, an ABA-sponsored Tax Court Pro program or a NY or NJ low-income Tax Clinic.
2 IRS CE/2 CTEC CE/2 NASBA CPE*
This program explores how a partnership for Federal tax purposes can choose to be treated as an S-Corporation for Federal tax purposes. Among the issues discussed will be the compliance aspects of each step of the process as well as the consequences of the decision. Specific attention will be paid to the real-world application of the code to decision with several examples used to demonstrate the process.
2 IRS CE/2 CTEC CE/2 NASBA CPE*
This course provides a comprehensive overview of the §754 election, which allows partnerships to adjust the basis of partnership property upon certain events. This can help the partner reduce their taxable income flowing from the partnership.
Varies
TPP’s Pass-Through Entities Webinar Series equips tax professionals with practical guidance on partnership and S corporation taxation, including Forms 1065 and 1120-S preparation, partnership agreement planning, and the tax implications of selling a pass-through business.
NO CE
"Our best deal is always to become a monthly subscriber" https://www.taxpracticepro.com/join-now *Self-Study recording not available for NASBA CPE credit.
2 IRS CE/2 CTEC/2 NASBA CPE*
"Our best deal is always to become a monthly subscriber" https://www.taxpracticepro.com/join-now *Self-Study recording not available for NASBA CPE credit.
2 IRS CE/2 CTEC/2 NASBA CPE*
"Our best deal is always to become a monthly subscriber" *Self-Study recording not available for NASBA CPE credit.
2 IRS CE/2 CTEC/2 NASBA CPE*
Only available for TPP unlimited CE subscribers. "Our best deal is always to become a monthly subscriber" *Self-Study recording not available for NASBA CPE credit.
2 IRS CE/2 CTEC/2 NASBA CPE*
This webinar breaks down the Foreign Investment in Real Property Tax Act (FIRPTA)—from the fundamentals to the finer points tax professionals need to watch for. Whether you’re new to FIRPTA or just need a refresher, this course will equip you with the tools to spot issues early, protect your clients, and avoid costly mistakes. It covers FIRPTA definitions, key forms, and real-world scenarios involving ITIN applications, exemption certificates, and special entity considerations like corporations, trusts, and partnerships. This webinar teaches the tax professional how to help buyers avoid risk through proper affidavits and understand common problems faced by withholding agents. If your client is buying or selling U.S. real estate—and one party is a nonresident—you can’t afford to overlook FIRPTA.