Basics of International Tax: Earning Income from Cross-Border Activities
Date:
Nov. 17, 2020
Time:
In a global business environment, transactions with customers and suppliers often transcend national borders. An understanding of the U.S. international tax rules—especially after enactment of the 2017 Tax Act—is paramount. The panel will discuss tax rules that cause U.S. shareholders in controlled foreign corporations (“CFCs”) to be subject to immediate U.S. tax, including the Subpart F and new global intangible low-taxed income (“GILTI”) rules. This panel will also highlight efforts by countries to implement a new global minimum tax and a digital tax that would meaningful impact businesses operating globally.
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