In this live video conference, participants will learn the Global Intangible Low Taxed Income (GILTI) law, Subpart F income rules relating to Controlled Foreign Corporations (CFC), and related tax laws affecting non-United States corporations owned by United States shareholders After completing this program, participants will be able to speak intelligently with their corporate clients regarding Form 5471 and related issues. Questions regarding Form 5471 and specific client situations are encouraged and expected throughout the presentation. Ideal for CPAs, EAs, Attorneys, and other tax professionals.