Businesses Reevaluate Lease Strategies Amid Global Tax Changes

12 July 2024

There is increasing attention on the U.S.’s Global Intangible Low-Taxed Income (GILTI) tax and its interaction with new minimum tax rates taking effect around the world under the international Pillar Two initiative. GILTI is currently being reviewed in detail by tax authorities who are looking at how the U.S. might align it with the international Pillar Two initiative.

This attention highlights the importance of understanding GILTI calculations, which apply to U.S.-based companies with foreign corporations. While the Pillar Two minimum income taxes are targeted at reaching a minimum 15% net income effective rate, and apply country-by-country, the GILTI rules have a different effective rate, and the core calculations work differently.

Understanding GILTI and Pillar Two

This OnPoint discusses:

  1. A comparison of the U.S. GILTI rules, and the international Pillar Two minimum taxes;
  2. The fundamentals that apply to GILTI calculations; and,
  3. Options that are available to help address overlapping taxes.

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GILTI (Global Intangible Low-Taxed Income) interacts with Pillar Twos new minimum tax rates by potentially increasing the overall tax burden on multinational enterprises. Pillar Two aims to ensure a global minimum tax rate, which may lead to adjustments in GILTI calculations to avoid double taxation.

Can the U.S. align its GILTI tax with the international Pillar Two initiatives new minimum rates?

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Digging Deeper: Uncover insights on this subject

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