This course analyzes the tax treatment, issues, planning techniques and underlying government policies involved in doing business internationally. The course incorporates concepts learned in all of the tax courses as they relate to the impact on cross-border outbound transactions (i.e., the taxation of US taxpayers doing business abroad). Topics include the source of income, transfer pricing, controlled foreign corporations (CFCs), Subpart F income, foreign tax credits, Global Intangible Low-Taxed Income (GILTI), Base Erosion and Anti-Abuse Tax (BEAT), and Foreign Derived Intangible Income (FDII). While this course focuses heavily on outbound transactions, some inbound rules (i.e., non-US taxpayers doing business in the United States) will be discussed. This course is an introductory course, so no prior knowledge of international taxation is required or expected. However, prior knowledge of U.S. federal taxation is necessary.
In this module, you will first become familiar with the course, your instructor and your classmates, and our learning environment. This orientation will also help you obtain the technical skills required to navigate and be successful in this course. Next, we will begin our discussion of U.S. international taxation by discussing the baseline theories used to prevent international double taxation and the different jurisdictional bases for imposing taxation on international transactions. We will then discuss specific tests to determine when a taxpayer is a U.S. resident vs. non-resident. We will discuss system of worldwide taxation generally employed by the United States and major exceptions to that system. And, we will conclude with a discussion of how income is "sourced" to either the United States or a foreign jurisdiction using the sourcing rules of the United States.
Citizenship, Residency, and Worldwide Taxation•5 minutes
Who is a Resident of the United States?•10 minutes
The "Exit" Tax•6 minutes
The Foreign Earned Income and Housing Exclusion•12 minutes
The Participation Exemption•4 minutes
Introduction to Sourcing•6 minutes
Source of Income Rules - Specific Rules (Part 1)•13 minutes
Source of Income Rules - Specific Rules (Part 2)•12 minutes
12 readings•Total 150 minutes
Syllabus•15 minutes
A Note About On-Going OECD Negotiations•5 minutes
About the Discussion Forums•10 minutes
Online Education at Gies College of Business•10 minutes
Updating Your Profile•10 minutes
Module 1 Overview•10 minutes
Neutrality, Efficiency, and Competitiveness•20 minutes
General Overview of International Taxation Principles•20 minutes
Determining an Individual's Tax Residency Status•10 minutes
Renounce U.S. , Here's How the IRS Computes "Exit Tax"•20 minutes
Source of Income Rules - Summary•10 minutes
Sourcing Deductions•10 minutes
8 assignments•Total 100 minutes
Module 1 Quiz•30 minutes
Lesson 1.1 Knowledge Check•10 minutes
Lesson 1.2 Knowledge Check•10 minutes
Lesson 1.3 Knowledge Check•10 minutes
Lesson 1.4 Knowledge Check•10 minutes
Lesson 1.5 Knowledge Check•10 minutes
Lesson 1.6 Knowledge Check•10 minutes
Lesson 1.7 Knowledge Check•10 minutes
1 discussion prompt•Total 10 minutes
Get to Know Your Fellow Learners•10 minutes
1 plugin•Total 15 minutes
Welcome! Please Tell Us About Yourself•15 minutes
Module 2: Inbound Taxation, Treaties, Transfer Pricing, and Export Incentives
3 hours to complete
Module details
In this module we will start with a basic introduction to inbound taxation issues, including a discussion of the Fixed, Determinable, Annual, and Periodical (FDAP) Income and Effectively Connected Income (ECI) taxing regimes. We'll then discuss the branch profits tax, which supports the ECI taxing regime. Next, we'll turn to understanding how tax treaties impact existing international taxation rules. Then, we'll cover transfer pricing issues, including a discussion of the new Base Erosion and Anti-Abuse Tax (BEAT). We'll conclude with a discussion of export incentives available to U.S. taxpayers selling abroad.
What's included
7 videos3 readings8 assignments
Show info about module content
7 videos•Total 39 minutes
Inbound Taxation: Introduction•8 minutes
Branch Profits Tax•4 minutes
U.S. Tax Treaties•4 minutes
Introduction to Transfer Pricing•6 minutes
Base Erosion Anti-Abuse Tax (BEAT)•5 minutes
Foreign Derived Intangible Income (FDII)•6 minutes
Interest-Charge Domestic International Sales Corporation (IC-DISC)•5 minutes
3 readings•Total 40 minutes
Module 2 Overview•10 minutes
The Portfolio Interest Exception•10 minutes
Branch Profits Tax Concepts•20 minutes
8 assignments•Total 100 minutes
Module 2 Quiz•30 minutes
Lesson 2.1 Knowledge Check•10 minutes
Lesson 2.2 Knowledge Check•10 minutes
Lesson 2.3 Knowledge Check•10 minutes
Lesson 2.4 Knowledge Check•10 minutes
Lesson 2.5 Knowledge Check•10 minutes
Lesson 2.6 Knowledge Check•10 minutes
Lesson 2.7 Knowledge Check•10 minutes
Module 3: Controlled Foreign Corporations and Current Income Inclusions
3 hours to complete
Module details
In this module we will be introduced to the Subpart F and Global Intangible Low Taxed Income (GILTI) regimes. These taxing regimes will cause certain foreign income earned by U.S. Shareholders through Controlled Foreign Corporations (CFCs) to be currently taxable in the United States. Specifically in this module we will learn to identify when a U.S. person is a U.S. Shareholder and when a foreign corporation is a CFC. We will also learn about what types of income constitute Subpart F. And, how GILTI is computed. We will conclude with a discussion of the Passive Foreign Investment Company (PFIC) rules which cover U.S. persons investing in foreign corporations that are not CFCs.
What's included
6 videos1 reading7 assignments
Show info about module content
6 videos•Total 55 minutes
Controlled Foreign Corporations (CFCs)•7 minutes
Introduction to Subpart F•6 minutes
Types of Subpart F Income•20 minutes
Global Intangible Low Taxed Income (GILTI)•10 minutes
GILTI Examples•7 minutes
Passive Foreign Investment Company (PFIC)•5 minutes
1 reading•Total 10 minutes
Module 3 Overview•10 minutes
7 assignments•Total 90 minutes
Module 3 Quiz•30 minutes
Lesson 3.1 Knowledge Check•10 minutes
Lesson 3.2 Knowledge Check•10 minutes
Lesson 3.3 Knowledge Check•10 minutes
Lesson 3.4 Knowledge Check•10 minutes
Lesson 3.5 Knowledge Check•10 minutes
Lesson 3.6 Knowledge Check•10 minutes
Module 4: The Foreign Tax Credit
3 hours to complete
Module details
In this module we will learn about how the Foreign Tax Credit mitigates the possibility of international double taxation. We will learn which foreign taxes are creditable for the purposes of this tax. We will then turn to computing the Foreign Tax Credit Limitation, which ensures that foreign taxes paid or accrued are only used to offset U.S taxes on foreign income and not U.S. taxes on U.S.-sourced income. We will then discuss how the Foreign Tax Credit interacts with provisions we have already discussed (e.g., GILTI). We will conclude with a brief discussion of the Check-the-Box Rules and how they impact international tax planning.
The Foreign Tax Credit: Creditable Foreign Taxes•5 minutes
The Foreign Tax Credit Limitation•10 minutes
The Indirect Foreign Tax Credit•9 minutes
GILTI Foreign Tax Credit Limitations•8 minutes
Learn on Your Terms•1 minute
3 readings•Total 30 minutes
Module 4 Overview•10 minutes
Congratulations on Completing the Course!•10 minutes
Get Your Course Certificate•10 minutes
6 assignments•Total 80 minutes
Module 4 Quiz•30 minutes
Lesson 4.1 Knowledge Check•10 minutes
Lesson 4.2 Knowledge Check•10 minutes
Lesson 4.3 Knowledge Check•10 minutes
Lesson 4.4 Knowledge Check•10 minutes
Lesson 4.5 Knowledge Check•10 minutes
1 discussion prompt•Total 10 minutes
Final Reflection: I used to think... Now I think•10 minutes
1 plugin•Total 15 minutes
How Was the Course?•15 minutes
Build toward a degree
This course is part of the following degree program(s) offered by University of Illinois Urbana-Champaign. If you are admitted and enroll, your completed coursework may count toward your degree learning and your progress can transfer with you.¹
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Build toward a degree
This course is part of the following degree program(s) offered by University of Illinois Urbana-Champaign. If you are admitted and enroll, your completed coursework may count toward your degree learning and your progress can transfer with you.¹
¹Successful application and enrollment are required. Eligibility requirements apply. Each institution determines the number of credits recognized by completing this content that may count towards degree requirements, considering any existing credits you may have. Click on a specific course for more information.
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