Exam 16: US Taxation of Foreign-Related Transactions
Exam 1: Tax Research116 Questions
Exam 2: Corporate Formations and Capital Structure123 Questions
Exam 3: The Corporate Income Tax127 Questions
Exam 4: Corporate Nonliquidating Distributions113 Questions
Exam 5: Other Corporate Tax Levies104 Questions
Exam 6: Corporate Liquidating Distributions102 Questions
Exam 7: Corporate Acquisitions and Reorganizations99 Questions
Exam 8: Consolidated Tax Returns99 Questions
Exam 9: Partnership Formation and Operation115 Questions
Exam 10: Special Partnership Issues107 Questions
Exam 11: S Corporations103 Questions
Exam 12: The Gift Tax105 Questions
Exam 13: The Estate Tax107 Questions
Exam 14: Income Taxation of Trusts and Estates105 Questions
Exam 15: Administrative Procedures104 Questions
Exam 16: US Taxation of Foreign-Related Transactions99 Questions
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U.S.Corporation owns 45% of the stock of Foreign Corporation.Foreign Corporation is incorporated in Country T.In its first year of operations, Foreign Corporation earns 100,000 frugs of E&P, pays a 20,000- frug dividend to U.S.Corporation, and pays 5,000 frugs in income taxes.The exchange rate between the dollar and the frug is: first year average, 1 frug = $0.20; yearend, 1 frug = $0.25); tax payment date, 1 frug = $0.30; and dividend payment date, 1 frug = $0.28.What is the translated foreign tax amount attributable to the dividend for deemed paid foreign tax credit purposes?
(Multiple Choice)
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Perry, a U.S.citizen, is transferred by his employer to Japan for a three-year assignment.Which one of the following items is not excluded under Sec.911?
(Multiple Choice)
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Cane Corporation owns 45% of the stock of Edmonton Airline Corporation.In its first year of operations, Edmonton Airline, a Canadian corporation, reports $400,000 of E&P and pays a $100,000 dividend to Cane Corporation.Edmonton Airline pays $50,000 in Canadian income taxes.All amounts are expressed in U.S.dollars.What is Cane Corporation's U.S.tax liability as a result of receiving the dividend? (Assume a 34% U.S.corporate tax rate.)
(Essay)
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Discuss the use of a "tax haven" nation to reduce taxes and the effect of Subpart F rules on such planning.
(Essay)
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U.S.citizens and resident aliens working abroad may qualify for the foreign-earned income exclusion of $97,600 in 2013.
(True/False)
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A nonresident alien can elect to be considered a resident alien if the nonresident alien is married to a U.S.citizen or a resident alien on the last day of the tax year and both spouses consent.
(True/False)
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Zeta Corporation, incorporated in Country Z, is 100% owned by Zelda Corporation, a U.S.corporation.Zelda purchases some machines from an unrelated corporation, for use in Country A.The portion of the sales contract covering installation and maintenance of the machines is assigned by Zelda to Zeta.Zeta is to be paid for these services by Zelda.Does this qualify as foreign base company services income?
(Essay)
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A U.S.citizen accrued $120,000 of creditable foreign taxes last year.The citizen's foreign tax credit limitation for last year is $90,000 (only a single limitation need be calculated).The excess foreign tax credit limitation for the year preceding the year in which the excess foreign taxes were incurred is $2,000.A similar $2,000 excess foreign tax credit limitation position is expected in each of the next 10 years.What portion of the excess foreign taxes can be expected to be noncreditable because of the foreign tax credit limitation?
(Multiple Choice)
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A U.S.corporation can claim a credit for foreign taxes withheld from dividends paid by a foreign corporation in which it owns at least 10% of the stock.
(True/False)
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Discuss the advantages of conducting overseas business activities through a foreign corporation.
(Essay)
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Ashley, a U.S.citizen, works in England for part of the year.She earns $40,000 in England, paying $10,000 in income taxes to the British government.Her U.S.income is $60,000 and she pays $12,000 in U.S.taxes.Her taxes on her worldwide income are $20,000.What is Ashley's foreign tax credit? Assume she does not qualify for the foreign-earned income exclusion.
(Multiple Choice)
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Income is "effectively connected" with the conduct of a U.S.business only if
(Multiple Choice)
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Karen, a U.S.citizen, earns $40,000 of taxable income from U.S.sources, $20,000 in taxable wages from Country A and $20,000 in taxable interest from Country B.The U.S.tax rate is 25%.The tax on Country A income is $8,000, and Country B charges no tax on the interest income.Assuming only a single basket is required, Karen's foreign tax credit that can be claimed is
(Multiple Choice)
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U.S.citizens, resident aliens, and domestic corporations are taxed by the U.S.government on their worldwide income at regular U.S.tax rates.
(True/False)
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Guinness Corporation, a U.S.corporation, began operating overseas in the current year.This year, Guinness sold machine tools that it manufactured in the United States to Canadian companies from a branch office located in Toronto, purchased a 40% investment in a Brazilian corporation from which it received a dividend, and received royalties from an English firm that is the licensee of machine tool patents held by Guinness.The English firm uses the patents to manufacturer machine tools it sells in England.What international tax issues should Guinness's Director of Taxes consider with respect to these activities?
(Essay)
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