Taxation of U.S. Persons Owning Foreign Corporations: Strategies for Subpart F and GILTI Inclusions
A live 90-minute premium CLE video webinar with interactive Q&A
This CLE/CPE course will guide tax counsel and advisers on the implications and potential opportunities for U.S. persons owning foreign corporations under recent IRS guidance and current tax law. The panel will discuss key tax provisions and regulations causing compliance issues for U.S. taxpayers, Subpart F tax treatment of controlled foreign corporations (CFCs), global intangible low-tax income (GILTI), significant tax modifications for U.S. persons owning stock of foreign corporations through domestic partnerships, and best practices for ensuring accurate reporting and compliance.
Outline
I. Treatment of U.S. persons owning foreign corporations
II. IRS guidance and key takeaways
III. U.S. tax challenges under Subpart F
IV. U.S. tax challenges under GILTI
V. Best practices for ensuring accurate reporting and compliance
Benefits
The panel will review these and other key issues:
- Key tax compliance challenges for U.S. persons owning foreign corporations
- Recent IRS regulations and guidance for U.S. taxpayers
- Expanded definition of a CFC and U.S. shareholder
- Expansion of Subpart F and key challenges under new tax law
- Challenges under Section 951A GILTI rules for U.S. taxpayers
- Tax planning and methods to ensure accurate reporting and compliance
Faculty

Rolando Garcia, JD, CPA
Tax Director
Doeren Mayhew
Mr. Garcia brings more than 20 years of experience to his role in areas such as ensuring U.S. tax compliance for... | Read More
Mr. Garcia brings more than 20 years of experience to his role in areas such as ensuring U.S. tax compliance for international individuals and businesses, identifying international tax incentives and advising multinational businesses on establishing a U.S. presence. Additionally, he is heavily relied on by his clients to navigate inbound and outbound practices, including pre-immigration planning for individuals, and more.
CloseEarly Discount (through 06/13/25)