April 17, 2025


Webinar


3 CPE

Surgent's U.S. Taxation of Foreign Corporations: A Case Study Approach

April 17, 2025
Webinar
3 CPE

Surgent's U.S. Taxation of Foreign Corporations: A Case Study Approach

Learning Objectives

  • Explain the similarities and differences between GILTI, Subpart F, and PFIC regimes
  • Understand the mechanics of income inclusions and foreign tax credits available under GILTI, Subpart F, and PFIC regimes
  • Compare and contrast the overall tax liability under different circumstances
  • Identify tax planning opportunities for income from foreign corporations

Major Topics

  • Understand how to approach and analyze the U.S. taxation of foreign corporations
  • Using an example, calculate GILTI, Subpart F, and PFIC income inclusions for an individual and C corporation
  • Determine how much foreign tax credit can be claimed against such income inclusions
  • Determine how subsequent dividend distributions from the foreign corporation are taxed
  • Calculate capital gain on the disposition of the foreign corporation
  • Discuss the impact of Section 962 election
  • Compare different outcomes under GILTI, Subpart F, and PFIC regimes for individuals and corporations
  • Identify basic strategies for managing tax liabilities related to foreign corporations

CPE Credits Available

3 CPE
3
Taxes

Things to Know About This Course

Course Level

  • Basic

Prerequisites

A basic understanding of the tax rules relating to individual and corporate income tax

Advanced Preparation

None

Intended Audience

Any tax practitioner with clients invested in a foreign corporation

Provider

SURGENT

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