Client story
Client's Story
Where they started
Michael is a US citizen with diversified assets: stakes in European companies, investments in Asia, real estate outside the States. He wanted to live closer to his European projects and chose Malta—English-speaking, safe, and in the EU.
Why the standard route did not work
But every American faces something unique to their citizenship: the US taxes worldwide income regardless of place of residence. Wherever Michael moved, his obligations to the IRS remained. Additionally, European and Asian countries withheld their own taxes at source—creating a real threat of paying double taxation on the same income.
What BRIDGES had to solve
From the start, Michael was realistic: he was not looking for a way to stop paying US taxes—that is impossible and illegal. He sought legal optimization: eliminate double taxation, use tax treaties and credits, so he would not pay in full to both America and the country of source.
Why a standard answer would not do
He approached BRIDGES for honest expertise—not a promise to eliminate US taxes, but for a competent structure that leverages the US-Malta agreement and foreign tax credits in his favor.
I am an American and know perfectly well that you cannot escape the IRS—and I had no intention to. I needed to stop paying double: to the States and to Europe and Asia. Half the consultants promised miracles that are illegal. BRIDGES honestly explained what is realistic and built a structure under the US-Malta agreement.





