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GILTI Rules Particularly Onerous for Non-C Corporation CFC Shareholders

By Sandra P. McGill, Gary C. Karch, Kevin J. Feeley, Susan E. O’Banion & Justin G. Crouse on February 1, 2018
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The recently enacted tax reform legislation significantly expanded the application of Subpart F, including by adding a new inclusion rule for non-routine CFC income, termed “global intangible low-taxed income” (GILTI). The GILTI rules apply higher tax rates to GILTI attributed to individuals and trusts who own CFC stock (either directly or through LLCs or S corporations) than to C corporation shareholders. This article describes the difference and suggests steps individuals and trusts may take to defer or reduce the effect of the GILTI rules on individuals and trusts.
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Photo of Sandra P. McGill Sandra P. McGill

Sandra McGill focuses her practice on international tax planning. Sandra works with US and non-US multinational companies, public and private as well as high net worth individuals and family businesses. Sandra has extensive experience advising clients on a broad range of cross-border tax…

Sandra McGill focuses her practice on international tax planning. Sandra works with US and non-US multinational companies, public and private as well as high net worth individuals and family businesses. Sandra has extensive experience advising clients on a broad range of cross-border tax issues. Read Sandra McGill’s full bio.

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Photo of Gary C. Karch Gary C. Karch

Gary C. Karch advises clients on the federal income tax aspects of partnership and limited liability company transactions, including acquisitions, investments, joint ventures and restructurings. Gary is also a certified public accountant. Read Gary Karch’s full bio.

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Photo of Kevin J. Feeley Kevin J. Feeley

Kevin J. Feeley focuses his practice on the taxation of complex transactions, with particular emphasis on structuring and implementing partnership and limited liability company transactions, including joint ventures and private equity investments. In addition, Kevin has extensive experience in structuring mergers and acquisitions…

Kevin J. Feeley focuses his practice on the taxation of complex transactions, with particular emphasis on structuring and implementing partnership and limited liability company transactions, including joint ventures and private equity investments. In addition, Kevin has extensive experience in structuring mergers and acquisitions, tax-free reorganizations, recapitalizations and restructurings of financially troubled companies. He also has advised closely held companies, family offices, S corporations and cooperative organizations on tax planning issues and strategies. Read Kevin Feeley’s full bio.

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Photo of Susan E. O’Banion Susan E. O’Banion

Susan E. O’Banion focuses her practice on tax matters.

Susan previously worked at a Big Four accounting firm, where she focused on international tax. While in law school, Susan served as comment editor for the Journal of Criminal Law and Criminology. Read …

Susan E. O’Banion focuses her practice on tax matters.

Susan previously worked at a Big Four accounting firm, where she focused on international tax. While in law school, Susan served as comment editor for the Journal of Criminal Law and Criminology. Read Susan O’Banion’s full bio. 

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Photo of Justin G. Crouse Justin G. Crouse

Justin G. Crouse focuses his practice on US and international tax matters. He has collaborated with clients from a range of industries to research and develop international tax planning opportunities, including global holding company structures, intellectual property migration, foreign tax credit planning and…

Justin G. Crouse focuses his practice on US and international tax matters. He has collaborated with clients from a range of industries to research and develop international tax planning opportunities, including global holding company structures, intellectual property migration, foreign tax credit planning and repatriation. Read Justin Crouse’s full bio.

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  • Posted in:
    Tax
  • Blog:
    Tax Controversy 360
  • Organization:
    McDermott Will & Emery
  • Article: View Original Source

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