Guide to Global Intangible Low-Taxed Income (Section 951A) Webcast | 4203816A

Course Details

Date

Friday, August 14, 2020

1:00pm – 2:00pm (Registration: 12:30pm)

Location

Online

Field of Study

Taxation

CPE Credit

1 hour CPE credit

Level of Knowledge

Overview

Vendor

CalCPA

Prerequisites

None.

Description

U.S. shareholders of foreign corporations have a new pass-through income category to contend with: GILTI. Except for capital-intensive companies, this has the effect of making foreign operating income immediately taxable to U.S. shareholders. This session explores the new rules. What is GILTI? How will it affect U.S. shareholders? What countermeasures are available?

Highlights

*Section 951A
*U.S. shareholders of foreign corporations

Objectives

*Identify Section 951A rules and filing requirements
*Determine whether foreign income is susceptible to GILTI requirements

Designed For

Lawyers andCPAs

Registration for this course has passed.

Course Pricing

WYOCPA Member Fee
$37.00

Non-Member Fee
$50.00

Your Price
$50.00

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