Natalia A. Sishodia is the Managing Partner of Sishodia PLLC, a boutique New York City firm focused on real estate law and dispute resolution. Her practice centers on high-end real estate transactions for domestic and international clients, including foreign investors purchasing and selling United States real property, FIRPTA withholding and its exceptions, 1031 tax-deferred exchanges, and tax strategies related to cross-border transactions. She has successfully negotiated and closed hundreds of transactions in New York.
Beatrice Raccanello is an attorney with Sishodia PLLC in New York City, where she works extensively with the firm's international clients on residential real estate transactions. Fluent in English, Italian, Spanish, and French, she has represented purchasers and sellers of single-family and multifamily properties and co-op and condominium apartments across New York, guiding transactions from due diligence through contract negotiation and the preparation of closing documents.
Live Video-Broadcast: October 7, 2026
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The 15 Percent Hold Is the Buyer's Problem and the Seller's Money
FIRPTA is moving. The April 2024 final regulations and October 2025 proposed regulations reshaped the domestically controlled QIE exception. An EFTPS mandate is changing how withholding is remitted, the most significant procedural shift of 2025. The withholding decision at the closing table is no longer routine.
The stakes sit with the buyer. Treat a foreign seller as domestic and the buyer owes the 15 percent withholding under IRC § 1445. Rely on a false certification and personal liability can follow. Miss the 20-day remittance deadline and enforcement risk compounds. File Form 8288-B out of sequence and escrow holds stretch on. Skip an ITIN or EFTPS step and the seller's refund stalls.
This two-session program gives attorneys a working framework for the withholding decision and the recovery that follows. Attendees leave with the non-foreign affidavit process, the exemption rules, and the $300,000 threshold in practice. They gain filing sequences for Forms 8288-B and 8288-A, the 1040-NR refund path, and the §1031 notice limits.
Key topics to be discussed:
This course is co-sponsored with myLawCLE.
Date / Time: October 7, 2026
Closed-captioning available
Natalia A. Sishodia, Esq., LL.M., Managing Partner | Sishodia PLLC
Natalia A. Sishodia is the Managing Partner of Sishodia PLLC, a boutique New York City firm focused on real estate law and dispute resolution. Her practice centers on high-end real estate transactions for domestic and international clients, including foreign investors purchasing and selling United States real property, FIRPTA withholding and its exceptions, 1031 tax-deferred exchanges, and tax strategies related to cross-border transactions. She has successfully negotiated and closed hundreds of transactions in New York.
Ms. Sishodia holds an LL.M. and is admitted to practice in New York State. She is fluent in English and Russian.
Ms. Sishodia has received the Award for Outstanding Achievement in International Law and the Avvo Client’s Choice Award. As Managing Partner, she leads an industry-recognized boutique firm serving clients in the United States and abroad.
Ms. Sishodia has worked at the United Nations Headquarters with the Department of Economic and Social Affairs and the Convention on the Rights of People with Disabilities. She supports Travelogion, a nonprofit that promotes mental and emotional healing through adventurous travel for post-treatment brain cancer patients, and gives seminars at real estate agencies and schools to help educate communities about their legal rights.
Ms. Sishodia leads the firm’s foreign investment practice, which guides foreign buyers and sellers of United States real property on FIRPTA withholding and its exceptions, helps clients determine whether withholding applies to a given closing, secures withholding certificates, and prepares the forms filed with the IRS in these transactions. She advises international investors on holding structures and transaction planning that can reduce or eliminate the United States taxes associated with the ownership and sale of United States real estate.
She regularly guides investors through 1031 tax-deferred exchanges, and her transactional work spans condominium and co-op purchases and sales, single-family and multifamily transactions, newly developed properties, conversions, deed transfers, leasing, and lending.
Her private client practice includes multijurisdictional wealth management, tax and estate planning advice, and tax strategies related to cross-border transactions for individuals, businesses, and trusts. She has worked with clients from Russia, Switzerland, Japan, Canada, the United Kingdom, the United Arab
Emirates, India, Turkey, China, South Korea, Italy, France, Singapore, Bulgaria, and Ukraine, and represents high-net-worth individuals, businesses, and some of the nation’s largest mortgage lenders.
Beatrice Raccanello, Esq., LL.M., MBA, Of Counsel | Sishodia PLLC
Beatrice Raccanello is an attorney with Sishodia PLLC in New York City, where she works extensively with the firm’s international clients on residential real estate transactions. Fluent in English, Italian, Spanish, and French, she has represented purchasers and sellers of single-family and multifamily properties and co-op and condominium apartments across New York, guiding transactions from due diligence through contract negotiation and the preparation of closing documents.
Ms. Raccanello holds a JD from Bocconi University, an LL.M. from the Temple University Beasley School of Law, and an MBA in Strategic Management from the Fox School of Business. She is admitted to practice in New York State.
Ms. Raccanello serves as the Director for Compliance and Ethics at Temple Law School.
Ms. Raccanello is vice-chair of the Lawyers Abroad committee of the American Bar Association, a committee serving United States-licensed lawyers who practice outside the United States.
Ms. Raccanello’s transactional practice covers New York residential real estate closings for domestic and international purchasers and sellers, and she has been involved in all facets of these transactions, including due diligence, contract drafting and negotiation, and the preparation of closing documents. She also supports the firm’s business law practice, advising on business formation, contract drafting, contract negotiation, and regulatory compliance.
SESSION 1 – FIRPTA Compliance at the Closing Table: Status, Exemptions, and the Withholding Decision | 12:00pm – 1:00pm
This session covers the mechanics of FIRPTA withholding under IRC § 1445 at the point of closing, including how to determine whether a seller is a foreign person, which statutory exemptions eliminate or reduce the 15% withholding obligation, and how buyers and closing attorneys can meet their compliance duties. Attorneys will leave with a working command of the non-foreign affidavit process, the residence-use exemptions, entity-level status traps, the 20-day remittance deadline, and the April 2024 final regulations and October 2025 proposed regulations affecting domestically controlled QIEs. The session is designed for transactional attorneys, real estate counsel, and closing attorneys who need a practical framework for making the withholding decision and avoiding personal liability.
BREAK | 1:00pm – 1:10pm
SESSION 2 – Reducing and Recovering FIRPTA Withholding for the Foreign Seller | 1:10pm – 2:10pm
This session covers the full lifecycle of FIRPTA withholding reduction and recovery for foreign sellers, from pre-closing withholding certificate applications through post-closing refund filing. Attorneys will learn how to use Form 8288-B strategically, navigate ITIN and EFTPS procedural requirements, apply §1031 exchange mechanics to minimize withholding, and guide clients through the 1040-NR refund process. Attendees will leave with actionable knowledge of filing sequences, common errors that extend escrow holds or block refunds, and the most significant 2025 procedural change affecting FIRPTA remittance.
Approved for CLE Credits
2 General
Pending CLE Approval
2 General
Approved for CLE Credits
2 General
Approved for CLE Credits
2 General
Approved for CLE Credits
2 General
Pending CLE Approval
2 General
Approved for CLE Credits
2 General
No MCLE Required
2 CLE Hour(s)
Pending CLE Approval
2 General
Approved via Attorney Submission
2 General Hours
Pending CLE Approval
2 General
Approved for CLE Credits
2 General
Pending CLE Approval
2 General
Pending CLE Approval
2 General
Pending CLE Approval
2 General
Pending CLE Approval
2 General
Pending CLE Approval
2 Substantive
Pending CLE Approval
2 General
Pending CLE Approval
2 General
No MCLE Required
2 CLE Hour(s)
No MCLE Required
2 CLE Hour(s)
Pending CLE Approval
2 General
No MCLE Required
2 CLE Hour(s)
Pending CLE Approval
2 General
Approved for CLE Credits
2.4 General
Pending CLE Approval
2 General
Pending CLE Approval
2 General
Pending CLE Approval
2 General
Approved for CLE Credits
2 General
Pending CLE Approval
2 General
Approved for CLE Credits
120 General minutes
Approved for CLE Credits
2 General
Approved for CLE Credits
2 General
Pending CLE Approval
2 General
Approved for CLE Credits
2 General
Pending CLE Approval
2 General
Pending CLE Approval
2.5 General
Pending CLE Approval
2 General
Approved for CLE Credits
2 General
Pending CLE Approval
2.5 General
Pending CLE Approval
2 General
No MCLE Required
2 CLE Hour(s)
Pending CLE Approval
2 General
Approved for CLE Credits
2 General
Pending CLE Approval
2 General
Not Eligible
2 General Hours
Approved for CLE Credits
2 General
Approved via Attorney Submission
2 Law & Legal Hours
Pending CLE Approval
2 General
Pending CLE Approval
2.4 General
Pending CLE Approval
2 General