The code section that the GILTI income inclusion amount falls under in the IRC
951A
X - (10% of the quarterly avg adjusted basis of depreciable assets - interest expense)
Net CFC tested income
In comparison to FDII, this nickname is given to GILTI
The code section that the GILTI deduction falls under in the IRC
Section 250
In the second part of the equation, what is "10% of the quarterly avg adjusted basis of depreciable assets - interest expense" considered?
Net Deemed Tangible Income
Shareholder level
This code section requires a gross-up of 100%
Section 78
Net CFC tested income is CFC income less allocable deductions but excludes ______ income
Subpart F
GILTI income is reported in its own _____ basket
Foreign tax credit limitation
The amount of deduction for tax years 2018-2025
50% of GILTI income
80%
This is the amount of time allowed for carry back and carry forward of excess credits (FTCL)
None
The amount of deduction for tax years after 2025
37.5% GILTI income
This is the GILTI deduction for a corporation with $1,000,000 Sec. 951A GILTI inclusion
$500,000
A US shareholder includes it ______ share of a CFC's GILTI
pro rata