Webcast overview
The One Big Beautiful Bill Act (OBBBA) has ushered in sweeping changes to the US tax landscape, with significant implications for foreign-parented multinationals operating in the US. This webcast will provide a strategic overview of the inbound-specific provisions of the OBBBA, focusing on how these reforms reshape planning, compliance, and reporting for inbound structures.
Participants will gain insights into the Act’s impact on key international tax regimes—including GILTI and subpart F CFC regimes, FDII, CAMT, and BEAT—as well as changes to interest deductibility under Section 163(j), bonus depreciation, and domestic R&E expensing. The session will also explore how the new law interacts with global tax developments, such as the G7 agreement on Pillar Two and the exclusion of US-parented groups from UTPR and IIR.
Our panel will highlight practical steps inbound companies should take now to assess risk, identify planning opportunities, and prepare for increased IRS scrutiny. Whether you're advising on capital structure, repatriation strategies, or transfer pricing, this session will equip you with the tools to navigate the new environment with confidence.