Wednesday, 14th March 2018
Time: 8.30am - 11.00 Eastern Time
Address: Reed Smith LLP, 599 Lexington Avenue, New York, NY 10022
Reed Smith and TTI present and analysis of the new Section 951 Global Low-Taxed Intangible Income (GILTI) computation.
Effective in 2018, GILTI, a new category of income similar to subpart F, will require a computation resulting in the inclusion of large portion of CFC's income. Detail steps of computations will be presented.