
Only available for TPP unlimited CE subscribers.
The webinar covers the Streamlined Filing Compliance Procedures, including eligibility for U.S. and non-U.S. residents, reduced penalty structures, and risks of audit selection. The Delinquent International Information Return and FBAR Procedures will be explored, including reasonable cause statements and potential audit risks.Finally, the IRS Criminal Investigation Voluntary Disclosure Practice will be analyzed, focusing on mitigation strategies, penalties, and the risks of willful noncompliance.
"Our best deal is always to become a monthly subscriber"
*Self-Study recording not available for NASBA CPE credit.
IRS Program #: 7Q3WU-T-00726-25

Ruth advises individuals and families on estate planning and business planning opportunities, concentrating on international plans.Ruth’s work includes advising U.S. persons who hold foreign assets, helping U.S. persons to receive gifts in a tax-efficient manner, advising non-U.S. persons regarding how to hold U.S. real property, and administering multinational estates and trusts. All of Ruth’s advice is focused on U.S. planning. This can include the creative use of domestic or foreign trusts and business entities to accomplish client goals. Ruth enjoys working with local families on purely domestic plans as well.Ruth frequently collaborates with other advisors to develop a plan that works in all relevant jurisdictions. They have advised U.S. beneficiaries of foreign trusts regarding their U.S. tax positions and reporting requirements. Ruth works with foreign counsel to resolve problems that arise for foreign beneficiaries of U.S. trusts. Ruth advises families regarding gifts from non-U.S. persons to U.S. beneficiaries. Ruth also advises U.S. persons and trustees worldwide regarding information reporting obligations including the Foreign Account Tax Compliance Act (FATCA), Foreign Investment in Real Property Tax Act (FIRPTA), Forms 3520 and 3520-A, and the Foreign Bank Account Report (FBAR). Ruth also advises local families and business owners regarding tax-efficient gifting strategies. Ruth is a lecturer at Boston University School of Law’s Graduate Tax Program and co-developed a new course on U.S. information reporting. Ruth frequently writes and speaks on topics related to international estate planning and U.S. taxation. In their spare time they enjoy travel, comedy, and learning foreign languages. Ruth has lived in Warsaw, Poland and in Oxford, England and has a working knowledge of Polish, Spanish, and German.
2 IRS CE/2 NASBA CPE*
The webinar covers the Streamlined Filing Compliance Procedures, including eligibility for U.S. and non-U.S. residents, reduced penalty structures, and risks of audit selection. The Delinquent International Information Return and FBAR Procedures will be explored, including reasonable cause statements and potential audit risks. Finally, the IRS Criminal Investigation Voluntary Disclosure Practice will be analyzed, focusing on mitigation strategies, penalties, and the risks of willful noncompliance. Only available for TPP unlimited CE subscribers.
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.
2 IRS CE/2 CTEC/2 NASBA CPE*
With social media fueling the spread of (often incorrect) tax advice, clients increasingly bring “short-term rental loopholes” and other novel ideas to tax practitioners. Many tax pros find themselves unprepared to address the nuanced distinctions between rental income reported on Schedule E and business income reported on Schedule C. This webinar demystifies these issues by analyzing key court cases, relevant IRC provisions (especially section 469), and the concept of substantial services. It clarifies how to classify short-, mid-, and long-term rentals, how to determine material participation, and, most critically, how to identify when a rental activity crosses the line into an active trade or business.