Webinar: Is Pillar Two GILTI as Charged?

Webinar: Is Pillar Two GILTI as Charged?

Raymond Wynman
Managing Director
Webinar Date:

What corporate impact does Global Intangible Low-Tax Income “GILTI” create?

Since the Tax Cuts and Jobs Act of 2017 went into effect, US multinational companies have been subject to a minimum effective tax on foreign earnings under the Global Intangible Low-Taxed Income ("GILTI") regime. Now US and foreign Multinationals face the implementation of a Global Anti-Base Erosion (GloBE) minimum tax under OECD's Pillar Two and must address complex issues.

Our webinar

In this live webinar, GTM's Raymond Wynman and our alliance partner firm WTS Global will discuss the similarities and differences between GILTI and Pillar Two, and how outcomes can differ based on how they conform with one another.

What attendees learn

Specifically, attendees will learn:

  • The mechanics of Pillar Two
  • EU commentaries on Pillar Two
  • How Pillar Two differs from GILTI, and what changes need to occur to conform
  • The complexities that can arise when GILTI does not conform with Pillar Two
  • Additional issues and next steps for planning

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