S Corporations with Transition AE&P Allowed to Elect Entity Treatment for GILTI
This came out a few weeks ago, but since I’ve been asked to talk about it in another setting, I’ve posted the write-up of the issue here.
In Notice 2020-69[1] the IRS outlined items that will be contained in to be issued proposed regulations related to S corporations with accumulated earnings and profits impacted by IRC §§951 and 951A. The revisions are meant to address the proposed and then modified final regulations on GILTI and FDII issued by the IRS previously. The IRS’s change of direction from handling the S corporation as an entity for GILTI to treating it under an aggregate approach can lead to problems in getting shareholders the cash to pay the tax if the S corporation has accumulated earnings and profits. The Notice and eventual regulations seeks to address that issue.
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