This presentation will provide a summary of the most relevant international tax compliance topics from calendar year 2024. The discussion will include how to avoid making common errors and preparation considerations as well as suggested best practices. The topics will range across both resident and nonresident considerations and include nonresident income tax reporting on Form 1040NR including Schedule K-3, Part XIII, FIRPTA, Rental Income/Net Election, Exempt Individuals, and Foreign Partner reporting issues. Lastly, the discussion will focus on issues with international informational reports including but not limited to Forms 5471, 926, 8992, 5472 (including the Foreign Owned US Disregarded Entity Filing), 8865, Schedules K-2/K-3, 8621, 3520/3520-A (including Foreign Pension, Foreign Grantor/Non-Grantor Trust reporting and the recent IRS Proposed Regulations Foreign Trusts), 8833 (including a discussion of the recent Net Investment Income Tax Treaty cases and treaty-tie breaker issues), 8854 (including issues related to the APA and Supreme Court Loper Bright case), 8938 (including the new IRS matching initiative from Foreign Financial Institutions under Form 8966), FinCEN BOI, and FinCEN Form 114 (FBAR).