Monday, June 10, 2019
The Structural Analysis of Foreign Tax Credits Research Paper
The Structural Analysis of Foreign Tax Credits - Research study ExampleEven though outside tax credit is accessible to people who have foreign source of income, the U.S. companies with subsidiaries overseas always take the great share of the foreign tax credits. Most of the U.S. companies make foreign source earnings by operating subsidiaries abroad or through investing in associates incorporated abroad. In order for the foreign associates income to be qualified for a foreign tax credit, the U.S. parent company is required to have at least 10 percent of ownership in each of the associates overseas. If the previous requirement is met and the foreign associate is evidenced to be incorporated overseas, then it is referred to as a foreign subsidiary. A foreign subsidiary pays dividends to the U.S. parent corporation from its income after foreign income taxes. Any income earned through foreign activities but not legal for the foreign tax credit, i.e. income earned from a subsidiary th at is less than 10% owned by US Corporation, is taxed in the same year when it is earned as specified by the U.S. Treasury. Foreign income taxes that are eligible for the foreign tax credit are given credits, and the same action is extended to other withheld taxes overseas. The foreign tax is only imposed when the subsidiary forwards earnings to its U.S. based parent company. The deductions of losses incurred by a foreign subsidiary can be made out of the parent corporations domestic earnings which can help to cut the companys income tax in the Unites States. However, bread made by the same subsidiary in succeeding years are treated as U.S. source earnings.
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