Fundamentals of Outbound US Rules of International Taxation WEBCAST
Overview
This program will begin with the jurisdictional basis for the assertion of the U.S. taxing jurisdiction over U.S. 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).
Highlights
The U.S. taxing jurisdiction. Sourcing rules. Foreign tax credits. Subpart F. Global-intangible low-taxed income. Passive foreign investment companies. IC-DISCs.
Prerequisites
None.
Designed For
CPAs and tax professionals that deal with international tax issues.
Objectives
Identify issues with respect to cross border transactions. Determine how the U.S. rules eliminate double taxation. Recognize opportunities for tax minimization strategies.
Preparation
None.
Notice
None.
Leader(s):
- Robert Misey Jr, California CPA Education Foundation
Non-Member Price $209.00
Member Price $159.00