Shudan Zhou
Partner
Norton Rose Fulbright US LLP
Related services and key industries
Biography
Shudan counsels high net worth individuals, trustees, and financial institutions on the US tax implications of wealth transfer strategies, with an emphasis on international income and estate tax planning. She has substantial experience advising clients on all aspects of FATCA and CRS as well as various withholding tax and disclosure regimes. Shudan frequently advises clients on the US tax consequences of expatriation from and immigration to the United States, and of US inbound and outbound investment structures. Shudan also advises on the creation, administration and governance of offshore trust structures.
As a trusted advisor to her clients, Shudan is often called upon to collaborate with other departments at the firm to provide multidisciplinary advice, including investment fund formation, cross-border family office structuring, US tax issues related to US shareholders' offshore investments and foreign investors' inbound investment structuring.
Professional experience
Collapse allJD, Boston University School of Law
MA, Shanghai International Studies University
BA, Sun Yat-sen University
- Connecticut State Bar
- New York State Bar
- Advised a leading European family with respect to optimizing the US tax treatment of its US descendants, focusing on the potential impact of the foreign trust anti-deferral regime (the throwback tax) and the foreign corporation anti-deferral regime (the CFC and PFIC rules) as well as the interaction between the two regimes.
- Advised a Canadian-US-UK family with respect to certain US tax impacts of an existing offshore wealth structure on the US beneficiaries, including the potential US tax classifications of certain offshore foundations, potential US tax treatment of the foundations' US beneficiaries upon the death of the founder as well as "exit strategies" for restructuring various foundations and offshore companies.
- Advised a multibillionaire US-Chinese family on their cross-border family office structuring as well as the formation and operation of a family investment fund.
- Advised the US founders of multiple multinational biotech companies with major operations in China with respect to the founders' wealth holding structures prior to the companies' initial public offerings on the Hong Kong Stock Exchange.
- Advised a US-Chinese family on the restructuring of their existing offshore trusts to address US tax issues in connection with CFC- and PFIC-attribution through foreign trusts, as well as subsequent restructuring in connection with the family's and their business's global headquarters' proposed relocation to Switzerland.
- Lawdragon 500 X – The Next Generation, Lawdragon, 2023 - 2024
- New York Metro Super Lawyers Rising Star, Thomson Reuters, 2020 - 2023
- New England Super Lawyers Rising Star, Thomson Reuters, 2016 - 2018
- Ones to Watch, Private Client and Global Elite, The American Lawyer and Legal Week, 2017 - 2019
- "Deciding and Converting Between Grantor and Non-Grantor Trust Status (Part II) – Evaluation of Planning Opportunities and Potential Pitfalls", Trusts & Estates, March 2024
- "Deciding and Converting Between Grantor and Non-Grantor Trust Status (Part I) – Evaluation of Planning Opportunities and Potential Pitfalls", Trusts & Estates, September 2023 (https://www.wealthmanagement.com/estate-planning/deciding-and-converting-between-grantor-and-non-grantor-trust-status-part-i)
- "Foreign Nongrantor Trusts for US Beneficiaries: Dos and Don'ts", Trusts and Trustees (Oxford University Press), May 2022
- "Tax Cuts and Jobs Act: Impact on Chinese Clients' Wealth and Business Interest Planning", Journal of International Taxation, May 2018
- "A Comparison: FATCA and Common Reporting Standard", Journal of International Taxation, March 2016
- Panellist, “Cross Border Wealth Transfer Planning for the Chinese National Family”, 61st Annual Hawaii Tax Institute China U.S. Alliance Program, November 5, 2024.
- Panellist, “A Place in the Sun - Relocation”, STEP Bermuda Conference, October 15, 2024.
- Panelist, “CFC/PFIC attribution through foreign trusts – attribution rules, tax implications and reporting”, Strafford webinar, July 2024.
- Panellist, “International Tax Planning”, STEP Orange County 12th Annual Institute on Tax, Estate Planning and the World Economy, February 2024
- Panellist, “Modern Families & Trusts, Force Heirship, Investing Multi-Jurisdiction and Beneficiaries, Managing UNI and DNI, and Retaining Legacy Advisors,” STEP Orange County 12th Annual Institute on Tax, Estate Planning and the World Economy, February 2024
- "Conversion between Grantor and Nongrantor Trust Status: Tax Benefit Evaluation and Potential Pitfalls", Strafford webinar, February 2023
- "Here Today, Gone Tomorrow - Tax Issues Affecting Temporary Residents," ABA Tax Section 2022 Fall Meeting, October 2022
- "Advanced Trust Planning for U.S.-Chinese Families with Global Assets," STEP LA Webinar, March 2021
- "Recent Developments in U.S.-China Tax and Trust Planning - The Onshore v. Offshore Debate", STEP Boston Webinar, November 2020
- "U.S.-China Planning for High Net Worth Individuals (Case Studies)," STEP Mid-Atlantic Webinar, May 2020
Insights
Foreign nongrantor trust for US beneficiaries
Publication | April 22, 2022