Deck 16: Multijurisdictional Taxation

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Question
Jaime received gross foreign-source dividend income of $250,000. Foreign taxes withheld on the dividend were $25,000. Jaime's total U.S. tax liability is $800,000 (the 35% marginal tax rate applies). Jaime's current year FTC is $87,500.
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Question
Winnie, Inc., a U.S. corporation, receives a dividend of $400,000 from a non-CFC foreign corporation. Deemed-paid foreign taxes attributable to the dividend are $120,000. If Winnie elects the FTC, its gross income attributable to this dividend is $400,000.
Question
Subpart F income includes portfolio income like dividends and interest.
Question
ForCo, a non-U.S. corporation based in Aldonza, purchases widgets from USCo, Inc., its U.S. parent corporation. The widgets are sold by ForCo to an unrelated foreign corporation in Aldonza. The income from sale of the widgets by ForCo is Subpart F foreign base company sales income.
Question
In allocating interest expense between U.S. and foreign sources, a taxpayer elects to use either the tax basis of the income-producing assets or their fair market values.
Question
The sourcing rules of Federal income taxation apply to deductions as well as to income items.
Question
Waltz, Inc., a U.S. taxpayer, pays foreign taxes of $50,000 on foreign-source general basket income of $90,000. Waltz's worldwide taxable income is $450,000, on which it owes U.S. taxes of $157,500 before FTC. Waltz's FTC is $50,000.
Question
U.S. individuals who receive dividends from foreign corporations may claim the deemed-paid foreign tax credit related to such dividends.
Question
The "residence of seller" rule is used in determining the sourcing of all gross income and deductions of a U.S. multinational business.
Question
Unused foreign tax credits are carried back two years and then forward 20 years.
Question
Kipp, a U.S. shareholder under the CFC provisions, owns 40% of a CFC. If the CFC's Subpart F income for the taxable year is $200,000, Kipp is taxed on receipt of a constructive dividend of $80,000.
Question
Income tax treaties provide for either higher or lower withholding tax rates on interest income than the rate provided under U.S. statutory law.
Question
Twenty unrelated U.S. persons equally own all of the stock of Quigley, a foreign corporation. Quigley is a CFC.
Question
ForCo, a subsidiary of a U.S. corporation incorporated in Belgium, manufactures widgets in Belgium and sells the widgets to its 100%-owned subsidiary in Germany. The income from the sale of widgets is not Subpart F foreign base company sales income.
Question
A "U.S. shareholder" for purposes of CFC classification is any U.S. person who owns directly, indirectly, and constructively at least 50% of the voting power of a foreign corporation.
Question
The United States has in force income tax treaties with about 70 countries.
Question
Jokerz, a CFC of a U.S. parent, generated $80,000 Subpart F foreign base company services income in its first year of operations. The next year, Jokerz distributes $50,000 cash to the parent, from those service profits. The parent is taxed on $0 in the first year (tax deferral rules apply) and $50,000 in the second year.
Question
The IRS can use § 482 reallocations to assure that transactions between related parties are properly reflected in a tax return.
Question
Hendricks Corporation, a domestic corporation, owns 40 percent of Shane Corporation and 55 percent of Ferrell Corporation, both foreign corporations. Ferrell owns the other 60 percent of Shane Corporation. Both Shane and Ferrell are CFCs.
Question
A U.S. taxpayer may take a current FTC equal to the greater of the FTC limit or the actual foreign taxes (direct or indirect) paid or accrued.
Question
If a state follows Federal income tax rules, the state's tax compliance and enforcement become easier to accomplish.
Question
In most states, a taxpayer's income is apportioned on the basis of a formula measuring the extent of business contact, and allocated according to the location of property owned or used.
Question
The U.S. system for taxing income earned outside its borders by U.S. persons is referred to as the territorial approach, because only income earned within the U.S. border is subject to taxation.
Question
The U.S. system for taxing income earned inside its borders by non-U.S. persons is referred to as inbound taxation because such foreign persons are earning income by coming into the United States.
Question
Nico lives in California. She was born in Peru but holds a green card. Nico is a nonresident alien (NRA).
Question
All of the U.S. states use an apportionment formula based on the sales, property, and payroll factors.
Question
Most states begin the computation of corporate taxable income with an amount from the Federal income tax return.
Question
Typically, sales/use taxes constitute about 20 percent of a state's annual tax collections.
Question
Carol, a citizen and resident of Adagio, reports gross income that is effectively connected with a U.S. business. No deductions are allowed against this income, and Carol's U.S. tax rate is a flat 30 percent.
Question
All of the U.S. states have adopted a tax based on the net taxable income of corporations.
Question
The purpose of the transfer pricing rules is to ensure that taxpayers have ultimate flexibility in shifting profits between related entities.
Question
Politicians frequently use tax credits and exemptions to create economic development incentives.
Question
A domestic corporation is one whose assets are primarily located in the U.S. For this purpose, the primarily located test (>50%) applies.
Question
A typical state taxable income subtraction modification is the interest income earned from another state's bonds.
Question
Freda was born and continues to live in Uruguay. She exports widgets to U.S. customers. The U.S. does not have in force an income tax treaty with Uruguay. Freda's net U.S. income from the widgets is subject to a flat 30% Federal income tax rate.
Question
A state can levy an income tax on a business only if the business was incorporated in the state.
Question
A typical state taxable income addition modification is for the Federal income tax paid for the tax year.
Question
Nonbusiness income receives tax-exempt treatment under all state corporate income taxes.
Question
Under P.L. 86-272, the taxpayer is exempt from state taxes on income resulting from the mere solicitation of orders for the sale of stocks and bonds.
Question
Typical indicators of income-tax nexus include the presence of customers in the state.
Question
The property factor includes land and buildings used for business purposes.
Question
Wellington, Inc., a U.S. corporation, owns 30% of a CFC that has $50 million of earnings and profits for the current year. Included in that amount is $20 million of Subpart F income. Wellington has been a CFC for the entire year and makes no distributions in the current year. Wellington must include in gross income (before any § 78 gross-up):

A)$0.
B)$6 million.
C)$20 million.
D)$50 million.
Question
In which of the following independent situations would Slane, a foreign corporation, be classified as a controlled foreign corporation? The Slane stock is directly owned 12% by Jen, 10% by Kathy, 12% by Leslie, 10% by David, 8% by Ben, and 48% by Mike.

A)Jen, Kathy, Leslie, David, Ben, and Mike are all U.S. citizens.
B)Jen, Kathy, Leslie, David, and Ben are all U.S. citizens. David is married to Kathy. Mike is a foreign resident and citizen.
C)Jen, Kathy, Leslie, David, and Ben are all U.S. citizens. Ben is Mike's son. Mike is a foreign resident and citizen.
D)Jen, Kathy, Leslie, David, and Ben are all U.S. citizens. Mike is a foreign resident and citizen.
Question
Which of the following statements is false in regard to the U.S. income tax treaty program?

A)There are about 70 bilateral income tax treaties between the U.S. and other countries.
B)Tax treaties generally provide for primary taxing rights that require the other treaty partner to allow a credit for the taxes paid on the twice-taxed income.
C)U.S. income tax treaties are written to set up a "network" of up to five foreign countries that are covered by the treaty language.
D)None of the above statements is false.
Question
Double weighting the sales factor effectively decreases the corporate income tax burden on taxpayers based in the state, such as entities with in-state headquarters.
Question
USCo, a U.S. corporation, purchases inventory from distributors within the U.S. and resells this inventory to customers outside the U.S., with title passing outside the U.S. Profit on the sale is $10,000. What is the source of the USCo's inventory sales income?

A)$5,000 U.S. source and $5,000 foreign source.
B)$5,000 U.S. source and $5,000 sourced based on location of the pertinent manufacturing assets.
C)$10,000 U.S. source.
D)$10,000 foreign source.
Question
Which of the following income items does not represent Subpart F income if it is earned by a controlled foreign corporation in Fredonia? Purchase of inventory from the U.S. parent, followed by:

A)Sale to anyone outside Fredonia.
B)Sale to anyone inside Fredonia.
C)Sale to a related party outside Fredonia.
D)Sale to a non-related party outside Fredonia.
Question
A tax haven often is:

A)A country with high internal income taxes.
B)A country with no or low internal income taxes.
C)A country without income tax treaties.
D)A country that prohibits "treaty shopping."
Question
The property factor includes business assets that the taxpayer owns, but also those merely used under a lease agreement.
Question
A controlled foreign corporation (CFC) realizes Subpart F income from:

A)Purchase of inventory from unrelated U.S. person and sale outside the CFC country.
B)Purchase of inventory from a related U.S. person and sale outside the CFC country.
C)Services performed for the U.S. parent in a country in which the CFC was organized.
D)Services performed on behalf of an unrelated party in a country outside the country in which the CFC was organized.
Question
Without the foreign tax credit, double taxation would result when:

A)The United States taxes the U.S.-source income of a U.S. resident.
B)A foreign country taxes the foreign-source income of a nonresident alien.
C)The United States and a foreign country both tax the foreign-source income of a U.S. resident.
D)Terms of a tax treaty assign income taxing rights to the U.S.
Question
U.S. income tax treaties typically:

A)Provide for taxation exclusively by the source country.
B)Provide for taxation exclusively by the country of residence.
C)Provide rules by which multinational taxpayers avoid double taxation.
D)Provide that the country with the highest tax rate will be allowed exclusive tax collection rights.
Question
A unitary group of entities files a combined return that includes all of the affiliates' income and apportionment data.
Question
Dividends received from a domestic corporation are totally U.S. source:

A)If the corporation earns at least 80% of its gross income over the immediately preceding three tax years from the active conduct of a U.S. trade or business.
B)If the corporation earns at least 25% of its gross income over the immediately preceding three tax years from the active conduct of a U.S. trade or business.
C)Unless the corporation earns at least 80% of its gross income over the immediately preceding three tax years from the active conduct of a foreign trade or business.
D)Unless the corporation earns at least 25% of its gross income over the immediately preceding three tax years from the active conduct of a foreign trade or business.
E)In all of the above cases.
Question
An assembly worker earns a $50,000 salary and receives a fringe benefit package worth $15,000. The payroll factor assigns $65,000 for this employee.
Question
Section 482 is used by the Treasury to:

A)Force taxpayers to use arms-length transfer pricing on transactions between related parties.
B)Reallocate income, deductions, etc., to a related taxpayer to minimize tax liability.
C)Increase information that is reported about U.S. corporations with non-U.S. owners.
D)All of the above.
E)None of the above.
Question
OutCo, a controlled foreign corporation in Meena (located outside the U.S.), earns $600,000 in net interest and dividend income from investments in the bonds and stock of unrelated companies. All of the dividend payors are located in Meena. OutCo's Subpart F income for the year is:

A)$0.
B)$0 only if OutCo is engaged in a trade or business in Meena.
C)$600,000.
D)$600,000 only if OutCo is engaged in a trade or business in Meena.
Question
Qwan, a U.S. corporation, reports $250,000 interest expense for the tax year. None of the interest relates to nonrecourse debt or loans from affiliated corporations. Qwan's U.S. and foreign assets are reported as follows.

<strong>Qwan, a U.S. corporation, reports $250,000 interest expense for the tax year. None of the interest relates to nonrecourse debt or loans from affiliated corporations. Qwan's U.S. and foreign assets are reported as follows. ​   How should Qwan assign its interest expense between U.S. and foreign sources to maximize its FTC for the current year?</strong> A)Using tax book values. B)Using tax book value for U.S. source and fair market value for foreign source. C)Using fair market values. D)Using fair market value for U.S. source and tax book value for foreign source. <div style=padding-top: 35px>
How should Qwan assign its interest expense between U.S. and foreign sources to maximize its FTC for the current year?

A)Using tax book values.
B)Using tax book value for U.S. source and fair market value for foreign source.
C)Using fair market values.
D)Using fair market value for U.S. source and tax book value for foreign source.
Question
The following persons own Schlecht Corporation, a foreign corporation.

<strong>The following persons own Schlecht Corporation, a foreign corporation. ​   None of the shareholders are related. Subpart F income for the tax year is $300,000. No distributions are made. Which of the following statements is correct?</strong> A)Schlecht is not a CFC. B)Chee includes $90,000 in gross income. C)Marina is not a U.S. shareholder for purposes of determining whether Schlecht is a CFC. D)Marina includes $24,000 in gross income. <div style=padding-top: 35px>
None of the shareholders are related. Subpart F income for the tax year is $300,000. No distributions are made. Which of the following statements is correct?

A)Schlecht is not a CFC.
B)Chee includes $90,000 in gross income.
C)Marina is not a U.S. shareholder for purposes of determining whether Schlecht is a CFC.
D)Marina includes $24,000 in gross income.
Question
A unitary business applies a combined apportionment formula, including data from operations of all of the affiliates.
Question
Which of the following statements regarding a non-U.S. person's U.S. tax consequences is true?

A)Non-U.S. persons may be subject to withholding tax on U.S.-source investment income even if not engaged in a U.S. trade or business.
B)Non-U.S. persons are subject to U.S. income or withholding tax only if they are engaged in a U.S. trade or business.
C)Non-U.S. persons are not taxed on gains from U.S. real property as long as such property is not used in a U.S. trade or business.
D)Once a non-U.S. person is engaged in a U.S. trade or business, the non-U.S. person's worldwide income is subject to U.S. taxation.
Question
Kilps, a U.S. corporation, receives a $200,000 dividend from a 20% owned foreign corporation. The deemed-paid taxes attributable to this dividend are $40,000 and foreign taxes withheld on remittance of the dividend are $30,000. Kilps's U.S. tax liability before the FTC is $350,000, the gross dividend income is $240,000, and Kilps's worldwide taxable income is $1 million. Kilps's foreign tax credit for the taxable year is:

A)$84,000.
B)$70,000.
C)$40,000.
D)$30,000.
Question
Peanut, Inc., a U.S. corporation, receives $500,000 of foreign-source interest income, on which foreign taxes of $5,000 are withheld. Peanut's worldwide taxable income is $900,000, and its U.S. Federal income tax liability before FTC is $270,000. What is Peanut's foreign tax credit?

A)$500,000
B)$275,000
C)$150,000
D)$5,000
Question
Dark, Inc., a U.S. corporation, operates Dunkel, an unincorporated branch manufacturing operation in Germany. Dark reports $100,000 of taxable income from Dunkel on its U.S. tax return, along with $400,000 of taxable income from its U.S. operations. Dark paid $40,000 in German income taxes related to the $100,000 of Dunkel income. Assuming a U.S. tax rate of 35%, what is Dark's U.S. tax liability after any allowable foreign tax credits?

A)$35,000
B)$135,000
C)$140,000
D)$175,000
Question
Columbia, Inc., a U.S. corporation, receives a $150,000 cash dividend from Starke, Ltd. Columbia owns 15% of Starke. Starke's E & P is $2 million and it has paid foreign taxes of $750,000 attributable to that E & P. What is Columbia's foreign tax credit related to the Starke dividend?

A)$22,500
B)$56,250
C)$150,000
D)$750,000
Question
Which of the following is a principle used in applying the income-sourcing rules under U.S. tax law?

A)The rules should be acceptable to both countries.
B)The rules should favor the U.S. Treasury.
C)The rules should favor the treasury of the non-U.S. country.
D)The rules should apply to income items only; deductions need not be sourced in this way.
Question
Waldo, Inc., a U.S. corporation, owns 100% of Orion, Ltd., a foreign corporation. Orion earns only general basket income. During the current year, Orion paid Waldo a $5,000 dividend. The foreign tax credit associated with this dividend is $3,000. The foreign jurisdiction requires a withholding tax of 10%, so Waldo received only $4,500 in cash as a result of the dividend. What is Waldo's total U.S. gross income reported as a result of the $4,500 cash received?

A)$8,000
B)$5,000
C)$4,500
D)$3,000
Question
Which of the following persons typically is not concerned with the U.S.-sourcing rules for gross income?

A)Foreign persons with U.S. activities.
B)Foreign persons with only foreign activities.
C)U.S. employees working abroad.
D)U.S. persons with foreign activities.
Question
Performance, Inc., a U.S. corporation, owns 100% of Krumb, Ltd., a foreign corporation. Krumb earns only general basket income. During the current year, Krumb paid Performance a $200,000 dividend. The foreign tax credit associated with this dividend is $30,000. The foreign jurisdiction requires a withholding tax of 30%, so Performance received only $140,000 in cash as a result of the dividend. What is Performance's total U.S. gross income reported as a result of the $140,000 cash received?

A)$30,000
B)$140,000
C)$200,000
D)$230,000
Question
Which of the following is not a U.S. person?

A)Domestic corporation.
B)Citizen of Turkey with U.S. permanent residence status (i.e., green card).
C)U.S. corporation 100% owned by a foreign corporation.
D)Foreign corporation 100% owned by a domestic corporation.
Question
Maxim, Inc., a U.S. corporation, reports worldwide taxable income of $8 million, including a $900,000 dividend from ForCo, a wholly-owned foreign corporation. ForCo's undistributed E & P are $15 million and it has paid $6 million of foreign income taxes attributable to these earnings. What is Maxim's deemed paid foreign tax credit related to the dividend received (before consideration of any limitation)?

A)$0
B)$360,000
C)$900,000
D)$6 million
Question
Which of the following statements regarding the U.S. taxation of non-U.S. persons is true?

A)A non-U.S. person's effectively connected U.S. business income is taxed by the U.S. only if it is portfolio income.
B)A non-U.S. person's effectively connected U.S. business income is subject to U.S. income taxation.
C)A non-U.S. person may earn income from selling U.S. real property without incurring any U.S. income tax.
D)A non-U.S. person must spend at least 183 days in the United States before any effectively connected income is subject to U.S. taxation.
Question
Which of the following persons typically is concerned with the U.S.-sourcing rules for gross income?

A)U.S. persons with only U.S. activities.
B)U.S. persons that earn only tax-exempt income.
C)U.S. persons with U.S. and non-U.S. activities.
D)Non-U.S. persons with only non-U.S. activities.
Question
Which of the following determinations requires knowing the amount of one's foreign-source gross income?

A)Itemized deductions.
B)Foreign tax credit.
C)Calculation of a U.S. person's total taxable income.
D)Calculation of a U.S. person's deductible interest expense.
Question
Which of the following determinations does not require knowing the amounts of one's U.S.- versus foreign-source income?

A)Calculation of a U.S. person's total taxable income.
B)Calculation of U.S. withholding tax on the FDAP income of foreign persons.
C)Calculation of the foreign earned income exclusion.
D)Calculation of a foreign person's income effectively connected with carrying on a U.S. trade or business.
Question
Which of the following statements regarding the U.S. taxation of non-U.S. persons is true?

A)Non-U.S. persons never are subject to U.S. income tax.
B)Non-U.S. persons are subject to U.S. income tax only on gains from U.S. real property.
C)Non-U.S. persons can be subject to a withholding tax on U.S.-source portfolio income.
D)Non-U.S. persons can be subject to a withholding tax on foreign-source portfolio income.
Question
Chipper, Inc., a U.S. corporation, reports worldwide taxable income of $1 million, including a $300,000 dividend from Emma, Inc., a foreign corporation. Chipper's U.S. tax liability before FTC is $340,000. Chipper owns 20% of Emma. Emma's E & P after taxes is $8 million and it has paid foreign taxes of $2 million attributable to that E & P. If Chipper elects the FTC, its U.S. gross income with regard to the dividend from Emma is:

A)$300,000.
B)$340,000.
C)$375,000.
D)$400,000.
Question
Krebs, Inc., a U.S. corporation, operates an unincorporated branch manufacturing operation in the U.K. Krebs, Inc., reports $900,000 of taxable income from the U.K. branch on its U.S. tax return, along with $1,600,000 of taxable income from its U.S. operations. The U.K. branch income is all general limitation basket income. Krebs paid $270,000 in U.K. income taxes related to the $900,000 in branch income. Assuming a U.S. tax rate of 35%, what is Krebs' U.S. tax liability after any allowable foreign tax credits?

A)$0
B)$270,000
C)$605,000
D)$875,000
Question
Kunst, a U.S. corporation, generates $100,000 of foreign-source income in the general income basket and $40,000 of foreign-source income in the passive income basket. Kunst's worldwide taxable income is $1,200,000, and its U.S. tax liability before FTC is $420,000. Foreign taxes attributable to the general income basket are $60,000 and to the passive income are $4,000. What is Kunst's foreign tax credit for the tax year?

A)$64,000
B)$39,000
C)$35,000
D)$4,000
Question
Columbia, Inc., a U.S. corporation, receives a $150,000 cash dividend from Starke, Ltd. Columbia owns 15% of Starke. Starke's E & P is $2 million and it has paid foreign taxes of $750,000 attributable to that E & P. What is Columbia's gross income related to the Starke dividend?

A)$206,250
B)$150,000
C)$56,250
D)$22,500
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Deck 16: Multijurisdictional Taxation
1
Jaime received gross foreign-source dividend income of $250,000. Foreign taxes withheld on the dividend were $25,000. Jaime's total U.S. tax liability is $800,000 (the 35% marginal tax rate applies). Jaime's current year FTC is $87,500.
False
2
Winnie, Inc., a U.S. corporation, receives a dividend of $400,000 from a non-CFC foreign corporation. Deemed-paid foreign taxes attributable to the dividend are $120,000. If Winnie elects the FTC, its gross income attributable to this dividend is $400,000.
False
3
Subpart F income includes portfolio income like dividends and interest.
True
4
ForCo, a non-U.S. corporation based in Aldonza, purchases widgets from USCo, Inc., its U.S. parent corporation. The widgets are sold by ForCo to an unrelated foreign corporation in Aldonza. The income from sale of the widgets by ForCo is Subpart F foreign base company sales income.
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5
In allocating interest expense between U.S. and foreign sources, a taxpayer elects to use either the tax basis of the income-producing assets or their fair market values.
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6
The sourcing rules of Federal income taxation apply to deductions as well as to income items.
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7
Waltz, Inc., a U.S. taxpayer, pays foreign taxes of $50,000 on foreign-source general basket income of $90,000. Waltz's worldwide taxable income is $450,000, on which it owes U.S. taxes of $157,500 before FTC. Waltz's FTC is $50,000.
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8
U.S. individuals who receive dividends from foreign corporations may claim the deemed-paid foreign tax credit related to such dividends.
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9
The "residence of seller" rule is used in determining the sourcing of all gross income and deductions of a U.S. multinational business.
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10
Unused foreign tax credits are carried back two years and then forward 20 years.
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11
Kipp, a U.S. shareholder under the CFC provisions, owns 40% of a CFC. If the CFC's Subpart F income for the taxable year is $200,000, Kipp is taxed on receipt of a constructive dividend of $80,000.
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12
Income tax treaties provide for either higher or lower withholding tax rates on interest income than the rate provided under U.S. statutory law.
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13
Twenty unrelated U.S. persons equally own all of the stock of Quigley, a foreign corporation. Quigley is a CFC.
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14
ForCo, a subsidiary of a U.S. corporation incorporated in Belgium, manufactures widgets in Belgium and sells the widgets to its 100%-owned subsidiary in Germany. The income from the sale of widgets is not Subpart F foreign base company sales income.
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15
A "U.S. shareholder" for purposes of CFC classification is any U.S. person who owns directly, indirectly, and constructively at least 50% of the voting power of a foreign corporation.
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16
The United States has in force income tax treaties with about 70 countries.
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17
Jokerz, a CFC of a U.S. parent, generated $80,000 Subpart F foreign base company services income in its first year of operations. The next year, Jokerz distributes $50,000 cash to the parent, from those service profits. The parent is taxed on $0 in the first year (tax deferral rules apply) and $50,000 in the second year.
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18
The IRS can use § 482 reallocations to assure that transactions between related parties are properly reflected in a tax return.
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19
Hendricks Corporation, a domestic corporation, owns 40 percent of Shane Corporation and 55 percent of Ferrell Corporation, both foreign corporations. Ferrell owns the other 60 percent of Shane Corporation. Both Shane and Ferrell are CFCs.
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20
A U.S. taxpayer may take a current FTC equal to the greater of the FTC limit or the actual foreign taxes (direct or indirect) paid or accrued.
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21
If a state follows Federal income tax rules, the state's tax compliance and enforcement become easier to accomplish.
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22
In most states, a taxpayer's income is apportioned on the basis of a formula measuring the extent of business contact, and allocated according to the location of property owned or used.
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23
The U.S. system for taxing income earned outside its borders by U.S. persons is referred to as the territorial approach, because only income earned within the U.S. border is subject to taxation.
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24
The U.S. system for taxing income earned inside its borders by non-U.S. persons is referred to as inbound taxation because such foreign persons are earning income by coming into the United States.
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25
Nico lives in California. She was born in Peru but holds a green card. Nico is a nonresident alien (NRA).
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26
All of the U.S. states use an apportionment formula based on the sales, property, and payroll factors.
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27
Most states begin the computation of corporate taxable income with an amount from the Federal income tax return.
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28
Typically, sales/use taxes constitute about 20 percent of a state's annual tax collections.
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29
Carol, a citizen and resident of Adagio, reports gross income that is effectively connected with a U.S. business. No deductions are allowed against this income, and Carol's U.S. tax rate is a flat 30 percent.
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30
All of the U.S. states have adopted a tax based on the net taxable income of corporations.
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31
The purpose of the transfer pricing rules is to ensure that taxpayers have ultimate flexibility in shifting profits between related entities.
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32
Politicians frequently use tax credits and exemptions to create economic development incentives.
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33
A domestic corporation is one whose assets are primarily located in the U.S. For this purpose, the primarily located test (>50%) applies.
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34
A typical state taxable income subtraction modification is the interest income earned from another state's bonds.
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35
Freda was born and continues to live in Uruguay. She exports widgets to U.S. customers. The U.S. does not have in force an income tax treaty with Uruguay. Freda's net U.S. income from the widgets is subject to a flat 30% Federal income tax rate.
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36
A state can levy an income tax on a business only if the business was incorporated in the state.
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37
A typical state taxable income addition modification is for the Federal income tax paid for the tax year.
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38
Nonbusiness income receives tax-exempt treatment under all state corporate income taxes.
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39
Under P.L. 86-272, the taxpayer is exempt from state taxes on income resulting from the mere solicitation of orders for the sale of stocks and bonds.
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40
Typical indicators of income-tax nexus include the presence of customers in the state.
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41
The property factor includes land and buildings used for business purposes.
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42
Wellington, Inc., a U.S. corporation, owns 30% of a CFC that has $50 million of earnings and profits for the current year. Included in that amount is $20 million of Subpart F income. Wellington has been a CFC for the entire year and makes no distributions in the current year. Wellington must include in gross income (before any § 78 gross-up):

A)$0.
B)$6 million.
C)$20 million.
D)$50 million.
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43
In which of the following independent situations would Slane, a foreign corporation, be classified as a controlled foreign corporation? The Slane stock is directly owned 12% by Jen, 10% by Kathy, 12% by Leslie, 10% by David, 8% by Ben, and 48% by Mike.

A)Jen, Kathy, Leslie, David, Ben, and Mike are all U.S. citizens.
B)Jen, Kathy, Leslie, David, and Ben are all U.S. citizens. David is married to Kathy. Mike is a foreign resident and citizen.
C)Jen, Kathy, Leslie, David, and Ben are all U.S. citizens. Ben is Mike's son. Mike is a foreign resident and citizen.
D)Jen, Kathy, Leslie, David, and Ben are all U.S. citizens. Mike is a foreign resident and citizen.
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44
Which of the following statements is false in regard to the U.S. income tax treaty program?

A)There are about 70 bilateral income tax treaties between the U.S. and other countries.
B)Tax treaties generally provide for primary taxing rights that require the other treaty partner to allow a credit for the taxes paid on the twice-taxed income.
C)U.S. income tax treaties are written to set up a "network" of up to five foreign countries that are covered by the treaty language.
D)None of the above statements is false.
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45
Double weighting the sales factor effectively decreases the corporate income tax burden on taxpayers based in the state, such as entities with in-state headquarters.
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46
USCo, a U.S. corporation, purchases inventory from distributors within the U.S. and resells this inventory to customers outside the U.S., with title passing outside the U.S. Profit on the sale is $10,000. What is the source of the USCo's inventory sales income?

A)$5,000 U.S. source and $5,000 foreign source.
B)$5,000 U.S. source and $5,000 sourced based on location of the pertinent manufacturing assets.
C)$10,000 U.S. source.
D)$10,000 foreign source.
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47
Which of the following income items does not represent Subpart F income if it is earned by a controlled foreign corporation in Fredonia? Purchase of inventory from the U.S. parent, followed by:

A)Sale to anyone outside Fredonia.
B)Sale to anyone inside Fredonia.
C)Sale to a related party outside Fredonia.
D)Sale to a non-related party outside Fredonia.
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48
A tax haven often is:

A)A country with high internal income taxes.
B)A country with no or low internal income taxes.
C)A country without income tax treaties.
D)A country that prohibits "treaty shopping."
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49
The property factor includes business assets that the taxpayer owns, but also those merely used under a lease agreement.
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50
A controlled foreign corporation (CFC) realizes Subpart F income from:

A)Purchase of inventory from unrelated U.S. person and sale outside the CFC country.
B)Purchase of inventory from a related U.S. person and sale outside the CFC country.
C)Services performed for the U.S. parent in a country in which the CFC was organized.
D)Services performed on behalf of an unrelated party in a country outside the country in which the CFC was organized.
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51
Without the foreign tax credit, double taxation would result when:

A)The United States taxes the U.S.-source income of a U.S. resident.
B)A foreign country taxes the foreign-source income of a nonresident alien.
C)The United States and a foreign country both tax the foreign-source income of a U.S. resident.
D)Terms of a tax treaty assign income taxing rights to the U.S.
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52
U.S. income tax treaties typically:

A)Provide for taxation exclusively by the source country.
B)Provide for taxation exclusively by the country of residence.
C)Provide rules by which multinational taxpayers avoid double taxation.
D)Provide that the country with the highest tax rate will be allowed exclusive tax collection rights.
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53
A unitary group of entities files a combined return that includes all of the affiliates' income and apportionment data.
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54
Dividends received from a domestic corporation are totally U.S. source:

A)If the corporation earns at least 80% of its gross income over the immediately preceding three tax years from the active conduct of a U.S. trade or business.
B)If the corporation earns at least 25% of its gross income over the immediately preceding three tax years from the active conduct of a U.S. trade or business.
C)Unless the corporation earns at least 80% of its gross income over the immediately preceding three tax years from the active conduct of a foreign trade or business.
D)Unless the corporation earns at least 25% of its gross income over the immediately preceding three tax years from the active conduct of a foreign trade or business.
E)In all of the above cases.
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55
An assembly worker earns a $50,000 salary and receives a fringe benefit package worth $15,000. The payroll factor assigns $65,000 for this employee.
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56
Section 482 is used by the Treasury to:

A)Force taxpayers to use arms-length transfer pricing on transactions between related parties.
B)Reallocate income, deductions, etc., to a related taxpayer to minimize tax liability.
C)Increase information that is reported about U.S. corporations with non-U.S. owners.
D)All of the above.
E)None of the above.
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57
OutCo, a controlled foreign corporation in Meena (located outside the U.S.), earns $600,000 in net interest and dividend income from investments in the bonds and stock of unrelated companies. All of the dividend payors are located in Meena. OutCo's Subpart F income for the year is:

A)$0.
B)$0 only if OutCo is engaged in a trade or business in Meena.
C)$600,000.
D)$600,000 only if OutCo is engaged in a trade or business in Meena.
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58
Qwan, a U.S. corporation, reports $250,000 interest expense for the tax year. None of the interest relates to nonrecourse debt or loans from affiliated corporations. Qwan's U.S. and foreign assets are reported as follows.

<strong>Qwan, a U.S. corporation, reports $250,000 interest expense for the tax year. None of the interest relates to nonrecourse debt or loans from affiliated corporations. Qwan's U.S. and foreign assets are reported as follows. ​   How should Qwan assign its interest expense between U.S. and foreign sources to maximize its FTC for the current year?</strong> A)Using tax book values. B)Using tax book value for U.S. source and fair market value for foreign source. C)Using fair market values. D)Using fair market value for U.S. source and tax book value for foreign source.
How should Qwan assign its interest expense between U.S. and foreign sources to maximize its FTC for the current year?

A)Using tax book values.
B)Using tax book value for U.S. source and fair market value for foreign source.
C)Using fair market values.
D)Using fair market value for U.S. source and tax book value for foreign source.
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59
The following persons own Schlecht Corporation, a foreign corporation.

<strong>The following persons own Schlecht Corporation, a foreign corporation. ​   None of the shareholders are related. Subpart F income for the tax year is $300,000. No distributions are made. Which of the following statements is correct?</strong> A)Schlecht is not a CFC. B)Chee includes $90,000 in gross income. C)Marina is not a U.S. shareholder for purposes of determining whether Schlecht is a CFC. D)Marina includes $24,000 in gross income.
None of the shareholders are related. Subpart F income for the tax year is $300,000. No distributions are made. Which of the following statements is correct?

A)Schlecht is not a CFC.
B)Chee includes $90,000 in gross income.
C)Marina is not a U.S. shareholder for purposes of determining whether Schlecht is a CFC.
D)Marina includes $24,000 in gross income.
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60
A unitary business applies a combined apportionment formula, including data from operations of all of the affiliates.
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61
Which of the following statements regarding a non-U.S. person's U.S. tax consequences is true?

A)Non-U.S. persons may be subject to withholding tax on U.S.-source investment income even if not engaged in a U.S. trade or business.
B)Non-U.S. persons are subject to U.S. income or withholding tax only if they are engaged in a U.S. trade or business.
C)Non-U.S. persons are not taxed on gains from U.S. real property as long as such property is not used in a U.S. trade or business.
D)Once a non-U.S. person is engaged in a U.S. trade or business, the non-U.S. person's worldwide income is subject to U.S. taxation.
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62
Kilps, a U.S. corporation, receives a $200,000 dividend from a 20% owned foreign corporation. The deemed-paid taxes attributable to this dividend are $40,000 and foreign taxes withheld on remittance of the dividend are $30,000. Kilps's U.S. tax liability before the FTC is $350,000, the gross dividend income is $240,000, and Kilps's worldwide taxable income is $1 million. Kilps's foreign tax credit for the taxable year is:

A)$84,000.
B)$70,000.
C)$40,000.
D)$30,000.
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63
Peanut, Inc., a U.S. corporation, receives $500,000 of foreign-source interest income, on which foreign taxes of $5,000 are withheld. Peanut's worldwide taxable income is $900,000, and its U.S. Federal income tax liability before FTC is $270,000. What is Peanut's foreign tax credit?

A)$500,000
B)$275,000
C)$150,000
D)$5,000
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64
Dark, Inc., a U.S. corporation, operates Dunkel, an unincorporated branch manufacturing operation in Germany. Dark reports $100,000 of taxable income from Dunkel on its U.S. tax return, along with $400,000 of taxable income from its U.S. operations. Dark paid $40,000 in German income taxes related to the $100,000 of Dunkel income. Assuming a U.S. tax rate of 35%, what is Dark's U.S. tax liability after any allowable foreign tax credits?

A)$35,000
B)$135,000
C)$140,000
D)$175,000
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65
Columbia, Inc., a U.S. corporation, receives a $150,000 cash dividend from Starke, Ltd. Columbia owns 15% of Starke. Starke's E & P is $2 million and it has paid foreign taxes of $750,000 attributable to that E & P. What is Columbia's foreign tax credit related to the Starke dividend?

A)$22,500
B)$56,250
C)$150,000
D)$750,000
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66
Which of the following is a principle used in applying the income-sourcing rules under U.S. tax law?

A)The rules should be acceptable to both countries.
B)The rules should favor the U.S. Treasury.
C)The rules should favor the treasury of the non-U.S. country.
D)The rules should apply to income items only; deductions need not be sourced in this way.
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67
Waldo, Inc., a U.S. corporation, owns 100% of Orion, Ltd., a foreign corporation. Orion earns only general basket income. During the current year, Orion paid Waldo a $5,000 dividend. The foreign tax credit associated with this dividend is $3,000. The foreign jurisdiction requires a withholding tax of 10%, so Waldo received only $4,500 in cash as a result of the dividend. What is Waldo's total U.S. gross income reported as a result of the $4,500 cash received?

A)$8,000
B)$5,000
C)$4,500
D)$3,000
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68
Which of the following persons typically is not concerned with the U.S.-sourcing rules for gross income?

A)Foreign persons with U.S. activities.
B)Foreign persons with only foreign activities.
C)U.S. employees working abroad.
D)U.S. persons with foreign activities.
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69
Performance, Inc., a U.S. corporation, owns 100% of Krumb, Ltd., a foreign corporation. Krumb earns only general basket income. During the current year, Krumb paid Performance a $200,000 dividend. The foreign tax credit associated with this dividend is $30,000. The foreign jurisdiction requires a withholding tax of 30%, so Performance received only $140,000 in cash as a result of the dividend. What is Performance's total U.S. gross income reported as a result of the $140,000 cash received?

A)$30,000
B)$140,000
C)$200,000
D)$230,000
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70
Which of the following is not a U.S. person?

A)Domestic corporation.
B)Citizen of Turkey with U.S. permanent residence status (i.e., green card).
C)U.S. corporation 100% owned by a foreign corporation.
D)Foreign corporation 100% owned by a domestic corporation.
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71
Maxim, Inc., a U.S. corporation, reports worldwide taxable income of $8 million, including a $900,000 dividend from ForCo, a wholly-owned foreign corporation. ForCo's undistributed E & P are $15 million and it has paid $6 million of foreign income taxes attributable to these earnings. What is Maxim's deemed paid foreign tax credit related to the dividend received (before consideration of any limitation)?

A)$0
B)$360,000
C)$900,000
D)$6 million
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72
Which of the following statements regarding the U.S. taxation of non-U.S. persons is true?

A)A non-U.S. person's effectively connected U.S. business income is taxed by the U.S. only if it is portfolio income.
B)A non-U.S. person's effectively connected U.S. business income is subject to U.S. income taxation.
C)A non-U.S. person may earn income from selling U.S. real property without incurring any U.S. income tax.
D)A non-U.S. person must spend at least 183 days in the United States before any effectively connected income is subject to U.S. taxation.
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73
Which of the following persons typically is concerned with the U.S.-sourcing rules for gross income?

A)U.S. persons with only U.S. activities.
B)U.S. persons that earn only tax-exempt income.
C)U.S. persons with U.S. and non-U.S. activities.
D)Non-U.S. persons with only non-U.S. activities.
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74
Which of the following determinations requires knowing the amount of one's foreign-source gross income?

A)Itemized deductions.
B)Foreign tax credit.
C)Calculation of a U.S. person's total taxable income.
D)Calculation of a U.S. person's deductible interest expense.
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75
Which of the following determinations does not require knowing the amounts of one's U.S.- versus foreign-source income?

A)Calculation of a U.S. person's total taxable income.
B)Calculation of U.S. withholding tax on the FDAP income of foreign persons.
C)Calculation of the foreign earned income exclusion.
D)Calculation of a foreign person's income effectively connected with carrying on a U.S. trade or business.
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76
Which of the following statements regarding the U.S. taxation of non-U.S. persons is true?

A)Non-U.S. persons never are subject to U.S. income tax.
B)Non-U.S. persons are subject to U.S. income tax only on gains from U.S. real property.
C)Non-U.S. persons can be subject to a withholding tax on U.S.-source portfolio income.
D)Non-U.S. persons can be subject to a withholding tax on foreign-source portfolio income.
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77
Chipper, Inc., a U.S. corporation, reports worldwide taxable income of $1 million, including a $300,000 dividend from Emma, Inc., a foreign corporation. Chipper's U.S. tax liability before FTC is $340,000. Chipper owns 20% of Emma. Emma's E & P after taxes is $8 million and it has paid foreign taxes of $2 million attributable to that E & P. If Chipper elects the FTC, its U.S. gross income with regard to the dividend from Emma is:

A)$300,000.
B)$340,000.
C)$375,000.
D)$400,000.
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78
Krebs, Inc., a U.S. corporation, operates an unincorporated branch manufacturing operation in the U.K. Krebs, Inc., reports $900,000 of taxable income from the U.K. branch on its U.S. tax return, along with $1,600,000 of taxable income from its U.S. operations. The U.K. branch income is all general limitation basket income. Krebs paid $270,000 in U.K. income taxes related to the $900,000 in branch income. Assuming a U.S. tax rate of 35%, what is Krebs' U.S. tax liability after any allowable foreign tax credits?

A)$0
B)$270,000
C)$605,000
D)$875,000
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79
Kunst, a U.S. corporation, generates $100,000 of foreign-source income in the general income basket and $40,000 of foreign-source income in the passive income basket. Kunst's worldwide taxable income is $1,200,000, and its U.S. tax liability before FTC is $420,000. Foreign taxes attributable to the general income basket are $60,000 and to the passive income are $4,000. What is Kunst's foreign tax credit for the tax year?

A)$64,000
B)$39,000
C)$35,000
D)$4,000
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80
Columbia, Inc., a U.S. corporation, receives a $150,000 cash dividend from Starke, Ltd. Columbia owns 15% of Starke. Starke's E & P is $2 million and it has paid foreign taxes of $750,000 attributable to that E & P. What is Columbia's gross income related to the Starke dividend?

A)$206,250
B)$150,000
C)$56,250
D)$22,500
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