Our International Tax Group explores the hidden terrain for individuals found in the new tax on global intangible low-taxed income (GILTI).
- The Section 250 deduction
- The renewed importance of Section 962
- Beware of the C-corp. lobster pot
By Daniel Reach and Brian Harvel
Our International Tax Group explores the hidden terrain for individuals found in the new tax on global intangible low-taxed income (GILTI).
Danny Reach is an associate in the Federal and International Tax Group. His practice includes federal and international tax planning, and he has particular experience with the tax aspects of derivative financial instruments.
Brian Harvel is a partner in the Federal & International Tax Group whose practice focuses on complex tax structuring and planning for a wide range of domestic and international business entities.