FIRPTA hasn't changed dramatically in 30+ years, but the One Big Beautiful Bill Act (Public Law 119-21, enacted July 4, 2025) introduced several new rules that affect foreign sellers in 2026 and beyond:
Section 899 — country-specific surcharge
If the U.S. classifies your home country as imposing "unfair foreign taxes" on U.S. persons (UTPRs, digital services taxes, diverted-profits taxes), a Section 899 surcharge applies on top of normal FIRPTA gain — starting at 5 percentage points and rising up to 20 percentage points over multiple years until the offending tax is repealed.
As of mid-2026, this affects sellers from a number of European countries. We confirm country status at intake. The list is updated annually and countries that repeal the offending tax are removed prospectively.
1% remittance excise tax (IRC §4475)
Effective January 1, 2026, a new 1% federal excise tax applies to most outbound transfers of funds from the U.S. The tax is collected by the wire transfer or remittance provider — and applies in addition to FIRPTA withholding (not as a credit against it). When you eventually wire your sale proceeds and refund home, expect that 1% to come off the top.
Transfers funded from a U.S.-issued debit or credit card are excluded. If you've maintained a U.S. bank account during the sale process, that account itself isn't subject to the 1% — only the transfer out of the country is.
EFTPS electronic payment mandate
The IRS issued a mandate requiring all FIRPTA withholding to be remitted electronically via EFTPS. The mandate has been postponed; the new effective date has not been announced. Paper checks may still be accepted in the interim, but buyers should enroll in EFTPS now since enrollment requires a valid U.S. Tax ID and a U.S. mailing address for the PIN, with 7–10 business days lead time.
Form 8288 January 2026 revision — one form per disposition
Effective with the January 2026 form revision, the IRS now requires a separate Form 8288 for each separate disposition — and a separate Form 8288-A for each foreign seller. A sale with two foreign sellers and one buyer now requires two 8288-As where one combined form used to suffice. This drives per-seller pricing and, more importantly, requires careful coordination at multi-seller closings.