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This program will begin the jurisdictional basis for the assertion of the US taxing jurisdiction over US persons. After a discussion of the foreign tax credit rules and the anti-deferral regimes (Subpart F, GILTI, and PFIC), Mr. Misey will discuss export benefits (IC-DISCs and the FDII deduction).

Objectives

  • Identify issues with respect to cross border transactions
  • Determine how the U.S. rules eliminate double taxation
  • Recognize opportunities for tax minimization strategies

Highlights

  • The US Taxing Jurisdiction
  • Sourcing Rules
  • Foreign Tax Credits
  • Subpart F
  • Global-Intangible Low-Taxed Income
  • Passive Foreign Investment Companies
  • IC-DISCs

Who Will Benefit

CPAs and tax professionals that deal with international tax issues.

Credits

Category Amount
Tax 4.00