Top International Destinations

Buyers, sellers, and referral partners—your international real estate journey starts here. With our trusted global network and expert team, buying, selling, or connecting is simple and secure. Whether you’re exploring international destinations or inquiring through vetted local agents, we’re here to help.

A B C D E F G H I J K L M N O P Q R S T U V W X Y Z

Key Differences in Real Estate: Canada vs. Antigua and Barbuda

Canada’s real estate process is highly regulated with strong buyer protections, standardized contracts, and widely available mortgage financing. Titles are reliably registered with common use of title insurance. The purchase process includes cooling-off periods and conditions. Taxes include land transfer fees and capital gains tax.

Antigua and Barbuda follows English common law but has a less transparent title system where disputes are more common. Foreigners can own property outright. The purchase process is less standardized with no cooling-off period. Stamp duty and annual property tax apply, and mortgages for foreigners have stricter terms, so many transactions are cash-based.
Antigua and Barbuda offers a Citizenship by Investment program (similar to a Golden Visa) for Canadians investing $200,000 USD or more in qualifying real estate, granting full citizenship with visa-free travel to 140+ countries and family inclusion.

Work with Snowbirds Realty to get expert advice and navigate these key differences with confidence.

Key Differences in Real Estate: Canada vs. Aruba

Canada’s real estate market is highly regulated, with standardized contracts, centralized land registration, strong buyer protections, and widely available mortgages. The purchase process includes cooling-off periods and conditions. Taxes include land transfer fees, GST/HST on new builds, and capital gains tax.

Aruba’s legal system is based on Dutch civil law, with property transactions overseen by a notary (notaris). Titles are registered with the Kadaster (Land Registry), and foreigners can own property outright, including beachfront homes. The purchase process uses a Purchase Agreement followed by a Deed of Sale signed before a notary, with no cooling-off period. Taxes include a 6% transfer tax, notary fees, and registration fees.

Mortgages for foreigners in Aruba are available but may have stricter terms and higher rates; many buyers pay cash. The market is less predictable, with negotiation common. Aruba offers an Investor Visa program for Canadians investing $500,000 USD or more in qualifying real estate, granting residency for up to three years and a pathway to citizenship after five years.

Tax-wise, Aruba has no capital gains tax on property sales but imposes income tax on worldwide income (up to 58.95%), annual property tax (0.4%-0.6%), and wealth tax on high-value assets.

Work with Snowbirds Realty to navigate these differences confidently and make your international property purchase smooth.

Key Differences in Real Estate: Canada vs. The Bahamas

Canada offers a regulated and standardized real estate process with clear ownership rights, widespread use of title insurance, and accessible mortgage financing. In The Bahamas, foreigners have full property rights with no ownership restrictions, but transactions require local lawyers, higher closing costs, and financing options for foreigners are limited—many buyers pay cash or rely on foreign lenders.

The Bahamas’ Permanent Residency “Golden Visa” program allows Canadians to qualify by investing $750,000 USD or more in real estate, offering permanent residency without full-time residency requirements and a citizenship pathway after 10 years. Property taxes and capital gains taxes are low or non-existent, but buyers should budget for stamp duty, legal fees, VAT, and currency exchange considerations.

Sign up with Snowbirds Realty for free to access exclusive insights and expert guidance on these key differences.

Key Differences in Real Estate: Canada vs. Barbados

Canada’s real estate market is highly regulated with strong buyer protections, standardized contracts, reliable title registration, and common use of title insurance. The purchase process includes cooling-off periods and typical conditions. Mortgages are widely available with competitive rates. Taxes include land transfer fees, GST/HST on new builds, and capital gains tax.

Barbados follows English common law but has a less transparent title system where disputes and encumbrances are more common. Foreigners can own property outright, including beachfront. The purchase process is less standardized with no cooling-off period and fewer conditions. Stamp duty (1%-10%) and annual property tax apply. Mortgages for foreigners are stricter and less common, so many purchases are cash-based.

Barbados offers a Special Entry and Reside Permit (SERP) program (similar to a Golden Visa) for Canadians investing at least 2 million BBD (approx. 1 million USD) in qualifying real estate, granting residency with a pathway to citizenship and family inclusion.

Work with Snowbirds Realty to get expert advice and confidently navigate these key differences.

Key Differences in Real Estate: Canada vs. Belize

Canada offers a highly regulated real estate system with standardized contracts, centralized title registration, and strong buyer protections. Belize’s system, based on English common law, requires conveyancing lawyers and thorough due diligence, as title disputes and less transparency are more common. While Canadian buyers typically use mortgages with competitive rates, many Belize transactions by foreigners are cash-based due to limited financing options.

Belize’s Qualified Retired Persons (QRP) Program allows Canadians to obtain residency by purchasing property, with a pathway to citizenship after five years. Property taxes in Belize include stamp duty and annual property tax but no capital gains or wealth tax, differing from Canada’s tax structure.

Sign up with Snowbirds Realty for free to access exclusive insights and expert guidance on these key differences.

Key Differences in Real Estate: Canada vs. British Virgin Islands (BVI)

Canada’s real estate system features standardized contracts, strong buyer protections, clear title registration, and widely available mortgage financing. The BVI follows English common law with a transparent land registry allowing foreigners to own property outright, including beachfront estates, with no ownership restrictions. The BVI process involves local conveyancing lawyers, thorough due diligence, and typically faster closings but often requires cash transactions or limited financing options for foreigners.

The BVI offers a Belonger Status program (similar to a Golden Visa) for Canadians investing $1 million USD or more in qualifying real estate, granting indefinite residency and a pathway to citizenship after 20 years. With no income, capital gains, or property taxes, and only a one-time stamp duty on transfers, the BVI is a highly tax-efficient jurisdiction.

Sign up with Snowbirds Realty for free to access exclusive insights and expert guidance on these key differences.

Key Differences in Real Estate: Canada vs. Cayman Islands

Canada has a highly regulated system with standardized contracts, a centralized land registry, and strong buyer protections. The Cayman Islands operate under English common law with reliable land registry and require conveyancing lawyers for transactions. Both allow foreign ownership without restrictions.

While Canada imposes land transfer taxes, legal fees, and sometimes GST/HST, the Cayman Islands charge a one-time stamp duty of 5-7.5% on property transfers but have no income, capital gains, or property taxes, making it very tax-efficient.

Mortgage financing is widely available in Canada, but many Cayman buyers—especially foreigners—prefer cash purchases due to stricter mortgage conditions.

The Cayman Islands offer a Residency Certificate for Real Estate Owners(similar to a Golden Visa) for property investments of approximately 2.4 million CI (~2.9 million USD), granting indefinite residency and family inclusion.

Work with local lawyers and reputable agents to ensure smooth transactions in both countries.

Sign up with Snowbirds Realty for exclusive insights and expert help navigating these key differences!

Key Differences in Real Estate: Canada vs. Colombia

Canada offers a highly regulated real estate system with standardized contracts, clear title registration, and broad buyer protections. Colombia operates under a civil law framework requiring a notary’s involvement and detailed due diligence to avoid title disputes. While Canadian buyers often secure mortgages with competitive rates, many Colombian transactions—especially by foreigners—are cash-based due to stricter mortgage conditions.

Colombia’s Investment Visa program allows Canadians to obtain residency by investing approximately $350,000 USD or more in qualifying real estate, offering a pathway to citizenship after five years. Colombian property taxes include income, capital gains, property, and a wealth tax on high-value assets, which differs from Canadian taxation.

Sign up with Snowbirds Realty for free to access exclusive insights and expert guidance on these key differences.

Key Differences in Real Estate: Canada vs. Costa Rica

In Canada, real estate transactions are well-regulated with standardized procedures, clear title systems, and readily available financing. Buyers enjoy strong legal protections, title insurance, and relatively low property taxes. Transactions are typically conducted in Canadian dollars, and the process is familiar and straightforward for Canadians.

Costa Rica offers foreigners the same property ownership rights as locals, including beachfront properties, with no restrictions on foreign ownership. However, transactions involve a local lawyer, require detailed title searches, and often take longer to close with higher closing costs (around 4-6%). Financing for foreigners is limited, so most buyers pay cash or secure funding outside Costa Rica. The process is conducted in Spanish, and cultural differences may impact negotiations. While Costa Rica does not have a formal Golden Visa program, owning property can support temporary or permanent residency applications, making it an attractive option for Canadians considering long-term stays.

Key Differences in Real Estate: Canada vs. Croatia

Buying property in Croatia differs from Canada in several key areas including legal frameworks, title security, financing, and transaction procedures. Canada’s highly regulated system features standardized contracts, clear title registration, and strong buyer protections. In contrast, Croatia operates under a civil law system requiring a notary public to oversee transactions, with due diligence being essential to avoid title disputes. Financing options for foreigners in Croatia are limited and many purchases are cash-based.

Croatia offers a Temporary Residence Permit program (similar to a Golden Visa) for Canadians who buy property, granting residency with potential renewal and a pathway to citizenship after five years. Buyers should also be aware of Croatian taxes, including property transfer tax, capital gains tax, and income tax, which differ from Canada’s tax structure.

Sign up with Snowbirds Realty for free to access exclusive insights and expert guidance on navigating these differences.

Key Differences in Real Estate: Canada vs. Dominican Republic

Buying property in the Dominican Republic differs significantly from Canada in terms of legal frameworks, title security, financing options, and transaction processes. While Canada has a highly regulated system with standardized contracts and strong buyer protections, the DR operates under a civil law system where due diligence is crucial to avoid title disputes and legal complications. Financing for foreigners is limited, and many transactions are cash-based. Additionally, purchasing real estate in the DR can qualify Canadians for the Golden Visa program, offering a pathway to residency and citizenship. Sign up with Snowbirds Realty for free to access exclusive insights and expert guidance on navigating these key differences.

Key Differences in Real Estate: Canada vs. Dubai UAE

Canada’s real estate market is highly regulated, with standardized contracts, clear title systems, strong buyer protections, and widely available mortgages. The purchase process includes cooling-off periods and conditions. Taxes include land transfer fees, GST/HST on new builds, and capital gains tax.

Dubai’s legal system is based on civil law with Sharia influences and is generally transparent and efficient. Titles are registered with the Dubai Land Department, and foreigners can own property in designated freehold areas. The purchase process involves a Memorandum of Understanding and Sale Agreement, with no cooling-off period. Taxes and fees include transfer fees (2%-4%), registration fees, and agent commissions.

Mortgages for foreigners in Dubai exist but often have stricter terms and higher rates; many transactions are cash-based. The market is more dynamic with negotiation playing a larger role. Dubai offers a Golden Visa program for Canadians investing at least 2 million AED (approx. $545,000 USD) in real estate, granting up to 10 years residency and a pathway to citizenship after 30 years.

The UAE has no income tax, no capital gains tax, and low annual property taxes, making it a tax-efficient destination for investors.

Work with Snowbirds Realty for expert guidance navigating these key differences with confidence.

Key Differences in Real Estate: Canada vs. Ecuador

Buying property in Ecuador differs from Canada mainly in its civil law system, due diligence requirements, and less standardized processes. While Canada offers strong buyer protections and widely available financing, Ecuador’s market often relies on cash transactions and requires thorough title searches to avoid disputes. Foreigners, including Canadians, can own property outright with no restrictions. Purchasing real estate in Ecuador may qualify buyers for the Pensioner Visa program, which offers a pathway to residency and eventual citizenship. Canadians looking to buy should engage reputable local lawyers and prepare for different tax implications. Sign up with Snowbirds Realty for free to access exclusive insights and expert guidance on navigating these key differences.

Key Differences in the Real Estate Process: Canada vs. France

Canada’s real estate market features a highly regulated process with standardized contracts, clear title registration, and strong legal protections for buyers and sellers. Mortgages are widely accessible, and buyers usually benefit from cooling-off periods and well-established due diligence practices. In contrast, France operates under a civil law system where transactions require a notary, and while the system is generally transparent and efficient, the purchase process involves preliminary agreements and no cooling-off period. Financing for foreigners in France can be more restrictive, with many transactions done in cash. France offers a Long-Stay Visa program allowing property buyers to gain residency with no minimum investment, providing a pathway to citizenship after five years. Canadian buyers should be aware of higher transfer taxes, notary fees, and property taxes in France, and the importance of engaging local legal experts to navigate due diligence. Both countries allow foreign ownership without restrictions, but the French market tends to involve more negotiation and longer closing timelines.

Key Differences in the Real Estate Process: Canada vs. Greece

Canada’s real estate market is highly regulated, with standardized contracts, clear title registration, and strong buyer protections including mortgage availability and cooling-off periods. In contrast, Greece operates under a civil law system requiring notaries for transactions and involves less standardized processes, with thorough due diligence needed due to possible title disputes. While both countries allow foreigners to own property outright, Greece’s market is more negotiation-driven, often cash-based, and typically involves longer closing times. Greece offers a Golden Visa program granting residency to buyers investing at least €250,000, with a pathway to citizenship after seven years. Canadian buyers should be mindful of Greece’s taxes—property transfer, income, capital gains, and wealth taxes—and strongly advised to hire local legal counsel to navigate the less transparent system and complex due diligence.

Key Differences in the Real Estate: Canada vs. Grenada

Buying property in Grenada differs from Canada mainly in legal transparency, taxes, and residency opportunities. Grenada follows English common law with conveyancing lawyers handling transactions, but the system is less transparent and title disputes are more common. Foreigners can own property outright without restrictions. The purchase process involves a Sale Agreement and final Deed of Sale, typically without a cooling-off period. Financing options for foreigners are limited, with many cash transactions. Grenada offers a Citizenship by Investment program through real estate purchase, granting full citizenship and visa-free travel to over 140 countries. Taxes include stamp duty and property tax, but no capital gains or wealth taxes.

Sign up with Snowbirds Realty for free to get expert insights and support on these important differences.

Key Differences in the Real Estate : Canada vs. Honduras

Honduras uses a civil law system with notaries handling transactions and requires a public deed for the final sale. Title searches are crucial due to less transparency. Foreigners can own property outright, including beachfront, with no restrictions.

The purchase process involves a preliminary agreement and notarized deed, with no cooling-off period. Buyers pay transfer, notary, and registration fees; sellers may pay capital gains tax and commissions. Mortgages are available but less common; many buyers pay cash.

Due diligence and hiring a local lawyer are essential. Closing can take 2-4 months. Agents are less regulated, so choose reputable ones.

Honduras offers a Residency by Investment program for real estate buyers ($50,000+), granting renewable residency and a path to citizenship after five years.

Taxes include income tax (up to 25%), capital gains tax, and property tax. No wealth tax applies.

Sign up with Snowbirds Realty for expert guidance on these key differences.

Key Differences in the Real Estate : Canada vs. Italy

Canada’s real estate market is highly regulated, with clear title systems, standardized contracts, and widespread mortgage availability. Buyers benefit from legal protections, cooling-off periods, and transparent pricing. In contrast, Italy follows a civil law system where property transactions require a notary and thorough due diligence due to less transparency and more negotiation. While both countries allow foreigners to own property outright, Italy’s purchase process is longer and often cash-based. Italy also offers an Elective Residence Visa for property buyers, providing a pathway to residency and citizenship, whereas Canada may impose foreign buyer taxes in some provinces.

Taxes and fees differ, with Canada charging land transfer taxes and capital gains, while Italy has transfer taxes ranging from 2% to 9%, along with property and wealth taxes. Due diligence and hiring local legal counsel are essential in both markets. Overall, Canadians considering Italy should be prepared for a less standardized buying process but can benefit from residency options and enjoy owning property in a culturally rich market.

Key Differences in the Real Estate : Canada vs. Jamaica

Buying property in Jamaica differs from Canada mainly in legal transparency, taxes, and residency options. Jamaica follows English common law with conveyancing lawyers handling transactions, but title disputes are more common and the system less standardized. Foreigners can own property outright with no restrictions. The purchase process involves a Sale Agreement and a Transfer Document, usually without a cooling-off period. Financing options for foreigners exist but are limited, with many cash purchases. Jamaica offers a Residency by Investment program through real estate purchase, granting residency for up to five years with a pathway to citizenship after. Taxes include stamp duty, property tax, and income tax, but no capital gains tax.

Sign up with Snowbirds Realty for free to get expert insights and support on these important differences.

Key Differences in the Real Estate : Canada vs. Martinique

Buying property in Martinique differs from Canada mainly in legal framework, transaction process, and financing. Martinique follows French civil law with notaries overseeing sales and requires thorough due diligence. Foreigners can own property outright with no restrictions. The purchase process uses preliminary and final sale agreements with no cooling-off period. Financing is available but often limited for foreigners, with many transactions done in cash. Property purchases can support residency via the French Long-Stay Visa, which may lead to citizenship after five years. Taxes include transfer taxes, capital gains, and wealth tax.

Sign up with Snowbirds Realty for free to get expert insights and support on these important differences.

Key Differences in the Real Estate : Canada vs. Mexico

Buying property in Mexico differs from Canada mainly in ownership structures, legal processes, and financing. Foreigners can own property directly in Mexico’s interior, but in restricted zones (near coasts and borders), a fideicomiso (bank trust) or Mexican corporation is required. Transactions are overseen by a notario público, making the process more formal and often longer, with higher closing costs. Financing options for foreigners are limited, so most buyers pay cash. Currency exchange and language differences add complexity. Mexico offers temporary and permanent residency options supported by real estate investment, although there is no formal Golden Visa program.

Sign up with Snowbirds Realty for free to get expert insights and support on these important differences.

Key Differences in the Real Estate : Canada vs. Monaco

Buying property in Monaco differs from Canada mainly in legal system, taxes, and market dynamics. Monaco follows French civil law with notaries managing transactions and thorough due diligence required. Foreigners can own property outright, with no restrictions. The purchase process involves preliminary and final sale agreements, usually without a cooling-off period. Financing options for foreigners exist but may be limited, with many cash purchases. Monaco offers a Residence Permit program through property purchase, enabling residency and a path to citizenship after 10 years. Monaco’s tax system is highly favorable, with no income, capital gains, or wealth taxes.

Sign up with Snowbirds Realty for free to get expert insights and support on these important differences.

Key Differences in the Real Estate : Canada vs. Nicaragua

Buying property in Nicaragua differs from Canada mainly in legal transparency, transaction processes, and financing. Nicaragua follows a civil law system where notaries oversee deals and thorough title searches are essential due to higher risks of disputes. The purchase process is less standardized, with no cooling-off period and mostly cash transactions. Mortgages for foreigners exist but are limited and costly. Nicaragua offers a Pensionado and Rentista Visa program, allowing Canadians who buy property to obtain residency with a pathway to citizenship after five years.

Sign up with Snowbirds Realty for free to get expert insights and support on these important differences.

Key Differences in the Real Estate : Canada vs. Panama

Panama allows Canadians to own property outright, including beachfront land, with the same rights as locals. However, the legal and regulatory framework is less standardized than in Canada. Buyers must work with a local lawyer and notary, as title issues and encumbrances are more common. Most transactions are cash-based, and due diligence is essential. The process takes 2–4 months and includes transfer taxes (2%) and registration fees. Panama’s Friendly Nations Visa offers a residency pathway with a $200,000+ real estate purchase. While real estate agent regulation is minimal, residency, tax perks, and low carrying costs make Panama attractive for long-term investors.

Key Differences in the Real Estate : Canada vs. Portugal

Portugal offers full property ownership rights to Canadians, with no restrictions on foreign buyers. The legal process is rooted in civil law and requires both a lawyer and a notary. Expect higher closing costs (6–8%) due to notary fees, transfer taxes, and stamp duty. Property taxes (IMI) range from 0.3–0.8%, and capital gains tax for non-residents is 28%. Most transactions are in euros, and mortgage financing is available, though often less favorable for foreigners. A major draw is Portugal’s Golden Visa program, which grants residency—and eventual citizenship—when investing €500,000+ in real estate. Legal guidance and bilingual support are essential due to language and procedural differences.

Key Differences in the Real Estate : Canada vs. Puerto Rico

Buying property in Puerto Rico shares some similarities with Canada but also has key differences. Puerto Rico follows U.S. common law and requires thorough due diligence with title companies or attorneys. While Canadian buyers benefit from strong legal protections and standardized contracts, Puerto Rico’s process involves more negotiation, no cooling-off period, and often cash-based transactions. Financing options for foreigners are limited and may carry higher interest rates. Puerto Rico offers an attractive Act 60 program (similar to a Golden Visa), granting residency and tax advantages for Canadians investing $500,000 USD or more in real estate.

Sign up with Snowbirds Realty for free to access expert guidance and insights on navigating these differences confidently.

Key Differences in the Real Estate : Canada vs. Sint Maarten

Sint Maarten offers full property ownership to foreigners with no restrictions—even on beachfront land. Governed by Dutch civil law, the system is transparent and efficient, but buyers must work with a local notary and lawyer. Transactions typically close within 4–8 weeks and are often cash-based. Foreigners can obtain residency by purchasing real estate, with a pathway to Dutch citizenship after 5 years. There’s no capital gains tax or wealth tax, making it attractive to investors. However, due diligence is essential, and buyers should be prepared for market variability and competitive pricing in the luxury segment.

Key Differences in the Real Estate : Canada vs. St. Lucia

Buying property in St. Lucia offers Canadians the opportunity to own real estate outright—including beachfront homes—with no ownership restrictions. However, the process differs significantly from Canada’s regulated system. While both countries follow English common law, St. Lucia’s land registry is less transparent, making due diligence and a reliable local lawyer essential. Most purchases are cash-based, with limited financing options for foreign buyers. Timelines can stretch up to four months, and agent standards may vary due to looser regulations. Foreign buyers can also qualify for citizenship through a government-approved real estate investment of at least $300,000 USD, unlocking visa-free access to over 140 countries. For expert guidance, sign up with Snowbirds Realty to navigate these key differences with confidence.

Key Differences in the Real Estate : Canada vs. Spain

Spain welcomes Canadian buyers with no restrictions on foreign ownership—even for beachfront property. However, the process is less standardized than in Canada, and legal due diligence is critical due to the potential for hidden liens or zoning issues. A local lawyer and notary are essential to completing the transaction. Expect to pay 6–10% in transfer tax plus legal fees. Mortgages are available to foreigners but less common, so many buyers pay in cash. Real estate in Spain can also unlock residency through the Golden Visa, available with a €500,000+ property investment. Note: Spain imposes income, capital gains, and wealth taxes, even on non-residents.

Key Differences in the Real Estate : Canada vs. St. Vincent and the Grenadines

Buying property in St. Vincent and the Grenadines presents a different set of challenges and opportunities for Canadians compared to the highly regulated process in Canada. While Canada offers a standardized system with clear titles, robust legal protections, and access to mortgage financing, St. Vincent and the Grenadines requires more hands-on due diligence. The legal system follows English common law, but title searches and reliable agent representation are critical due to a less transparent registry. Foreigners can purchase property outright—including beachfront real estate—and may also qualify for citizenship through the Citizenship by Investment program by investing a minimum of $200,000 USD in qualifying properties. Most transactions are cash-based, and timelines are longer due to procedural differences. Sign up with Snowbirds Realty for free to access exclusive insights and expert guidance on navigating these key differences when buying abroad.

Key Differences in the Real Estate : Canada vs. Trinidad and Tobago

For Canadians eyeing Caribbean property, Trinidad and Tobago offers freehold ownership, including beachfront homes, with no restrictions. While the legal system mirrors Canada’s, the property transfer process is less transparent and more prone to title issues—making due diligence and a local lawyer essential. Many purchases are cash-based, as financing for foreigners is limited. The buying timeline often extends 2–4 months, and real estate agent standards vary due to limited regulation. Notably, a $1 million USD real estate investment can qualify buyers for a renewable Residence Permit, paving the way toward citizenship. Snowbirds Realty helps Canadians navigate this complex but opportunity-rich market with confidence.

Key Differences in the Real Estate : Canada vs. Turks and Caicos

Buying property in Turks and Caicos is straightforward and open to Canadians, with no restrictions on foreign ownership—even beachfront homes. The legal system, based on English common law, ensures reliability, though a local lawyer is essential for title checks and due diligence. Expect higher upfront costs due to stamp duty (6.5–10%) and limited financing options; most purchases are cash-based. The real estate market is competitive and luxury-focused, with negotiation playing a larger role than in Canada. A major perk: Canadians who invest $500,000+ USD may qualify for permanent residency, with no income, capital gains, or wealth taxes to worry about.

Key Differences in the Real Estate : Canada vs. The United States

Buying real estate in the U.S. is straightforward for Canadians, with full ownership rights and familiar legal protections. However, processes and taxes vary widely by state. Title companies or attorneys oversee transactions, and closing costs tend to be higher than in Canada. Canadians can access financing through U.S. lenders, though terms may be stricter. While property ownership doesn’t grant residency, the U.S. offers an EB-5 Investor Visa for those investing $800K–$1.05M USD and creating jobs. Canadians should plan for estate tax exposure, FIRPTA withholding on resale, and fluctuating currency rates. With the right guidance, buying in the U.S. can be both secure and rewarding.