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GILTI (Global Intangible Low-Taxed Income)

GILTI (Global Intangible Low-Taxed Income) is a U.S. tax regime enacted by the 2017 Tax Cuts and Jobs Act that requires U.S. shareholders (≥10% ownership) of a Controlled Foreign Corporation (CFC) to include the CFC's "low-taxed" foreign ea

Glossary
Contents
  1. Plain-English example
  2. When it applies
  3. SEBI / regulatory caveat
  4. Related

GILTI (Global Intangible Low-Taxed Income) is a U.S. tax regime enacted by the 2017 Tax Cuts and Jobs Act that requires U.S. shareholders (≥10% ownership) of a Controlled Foreign Corporation (CFC) to include the CFC's "low-taxed" foreign earnings in their U.S. taxable income annually — whether or not those earnings are distributed.

Plain-English example

A U.S.-citizen founder owns 60% of an Indian private limited company. The company earns ₹2 crore profit, pays Indian corporate tax at ~25%, and retains the rest. Without GILTI, the U.S. owner would defer U.S. tax until dividend. Under GILTI, a portion of those retained earnings is taxed in the U.S. this year on Form 8992, often offset partially by foreign-tax credits under the India-U.S. DTAA.

When it applies

  • U.S. citizens / green-card holders owning ≥10% of a non-U.S. company
  • NRI returning to U.S. who still holds an Indian Pvt. Ltd. / LLP
  • U.S.-resident promoters of Indian start-ups

SEBI / regulatory caveat

GILTI is purely a U.S. IRS rule; SEBI and Indian Income Tax have no equivalent. Section 962 election or high-tax exclusion may reduce the bite. Always engage a U.S.-India dual-qualified tax advisor — this page is education, not advice.

See also PFIC, FBAR, DTAA.

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