December 18, 2018

U.S. Tax Reform Webinar Series: International Part I

This webinar will kick off our review of the principal changes to the U.S. international tax rules by focusing on the repatriation tax under section 965, including its impact on 2017 dividend planning. We will then turn to the new Global Intangible Low-Taxed Income (GILTI) regime under section 951A, addressing that regime’s impact on companies’ ability to benefit from the nominal change to a territorial tax system, as well as the effect of foreign tax credit changes including the repeal of the indirect foreign tax credit and the repeal of the export source rule. 

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