U.S. and italian Tax Planning
Cross-border tax compliance is complex and highly regulated. U.S. and Italian taxpayers with foreign assets, accounts, or business interests face strict reporting rules and significant penalties for missteps. Our attorneys provide clear, practical strategies to keep clients in compliance and reduce risk while supporting long-term planning across jurisdictions.
Through our professional affiliation with Marco Q. Rossi & Associati of Counsel, we extend our reach with a dedicated Italian tax and corporate practice. Marco and his team assist foreign individuals and companies with the full range of Italian tax matters, while also advising on the organization, management, and dissolution of foreign-owned Italian companies. They regularly support clients with international commercial agreements and real estate investments in Italy, as well as disputes before Italian courts and in international mediation and arbitration.
Attorneys
Our attorneys counsel individuals, families, and businesses on the full spectrum of cross-border tax compliance, from reporting foreign accounts and assets to structuring international investments and business operations. We guide clients through U.S. obligations such as FATCA and FBAR, while coordinating with international advisors to ensure consistency across jurisdictions. In partnership with Marco Q. Rossi & Associati, we deliver integrated solutions that address both U.S. and Italian requirements, helping clients avoid penalties, resolve disputes, and build tax strategies that support long-term goals.
Marco Q Rossi & Associati
Marco Q. Rossi & Associati PLLC, Of Counsel — International Tax and Italian Business & Tax Law
Through Marco Q. Rossi & Associati, we maintain an office in Miami that allows us to serve clients seamlessly in Florida while expanding our international reach.
Marco brings deep expertise in U.S. tax law, international (particularly Italian) law, and estate planning, making him an invaluable resource for our clients with cross-border interests.