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The existence of a U.S.trade or business is a prerequisite to having effectively connected income.

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Interest paid to an unrelated party by a domestic corporation that historically earns 81% of its gross income each year from the conduct of an active trade or business outside the United States is foreign-source income.

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Which of the following determinations does not require knowing the amounts of one's U.S.- versus foreign-source income?


A) Calculation of U.S.withholding tax on the FDAP income of foreign persons.
B) Calculation of a foreign person's income effectively connected with carrying on a U.S.trade or business.
C) Calculation of the ยง 911 exclusion.
D) Calculation of a U.S.person's total taxable income.

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USCo,a domestic corporation,has worldwide taxable income of $1,500,000,including a $300,000 dividend from ForCo,a wholly-owned foreign corporation.ForCo's post-1986 undistributed earnings and profits are $16 million and it has paid $10 million of foreign income taxes attributable to these earnings.What is USCo's deemed paid foreign tax credit related to the dividend received (before consideration of any limitation) ?


A) $10 million.
B) $16 million.
C) $187,500.
D) $487,500.

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Assuming all sales are made to unrelated customers outside the CFC's country of incorporation,which of the following types of income earned by a CFC is Subpart F income?


A) Income from sale of property manufactured by the CFC.
B) Income from the sale of property manufactured by a subsidiary of the CFC in the same country as the CFC.
C) Income from the sale of property manufactured by the U.S.parent of the CFC outside the CFC's country.
D) Income from the sale of property manufactured by an unrelated person outside the CFC's country of incorporation.

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Given the following information,determine whether Greta,an alien,is a U.S.resident for 2010.Assume that Greta cannot establish a tax home in or a closer connection to a foreign country. Given the following information,determine whether Greta,an alien,is a U.S.resident for 2010.Assume that Greta cannot establish a tax home in or a closer connection to a foreign country.

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For Federal income tax purposes,Greta is...

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Which of the following statements regarding the U.S.taxation of foreign persons is true?


A) Foreign persons are never subject to U.S.income tax.
B) Foreign persons are subject to U.S.income tax only on gains from U.S.real property.
C) Foreign persons are subject to a withholding tax on U.S.-source FDAP income.
D) Foreign persons are subject to a withholding tax on foreign-source FDAP income.

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Amelia,Inc. ,a domestic corporation,has worldwide taxable income of $8 million,including a $600,000 dividend from ForCo,a wholly-owned foreign corporation.ForCo's post-1986 undistributed E & P are $18 million and it has paid $12 million of foreign income taxes attributable to these earnings.What is Amelia's deemed paid foreign tax credit related to the dividend received (before consideration of any limitation) ?


A) $0.
B) $400,000.
C) $12 million.
D) $18 million
E) Some other amount.

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Which of the following is a true statement regarding a tax haven?


A) A country with high internal taxes.
B) A country with no or low internal taxes.
C) A country without income tax treaties.
D) A country that prohibits "treaty shopping."
E) None of the above statements is true.

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Which of the following statements is false in regard to the U.S.income tax treaty program?


A) There are over 50 income tax treaties between the U.S.and other countries.
B) For the most part,neither country is prohibited from taxing the income of its residents.
C) The 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.
D) Residence of the taxpayer is an important consideration,while the presence of a permanent establishment is not.
E) None of the above statements is false.

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ForCo,a controlled foreign corporation owned 100% by USCo,earned $900,000 in Subpart F income for the current year.ForCo's current year E & P is $150,000 and it's accumulated E & P is $18 million.What is the current year Subpart F deemed dividend to USCo?


A) $18 million.
B) $900,000.
C) $150,000.
D) $0.

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Which of the following income items do not represent Subpart F income if earned by a controlled foreign corporation?


A) Purchase of inventory from a U.S.parent and sale to anyone inside the CFC country.
B) Purchase of inventory from a U.S.parent and sale to anyone outside the CFC country.
C) Purchase of inventory from a U.S.parent and sale to a related party outside the CFC country.
D) Purchase of inventory from a U.S.parent and sale to a non-related party outside the CFC country.

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Which of the following statements best describes the purpose of ยง 482?


A) To place a controlled entity on a tax parity with an uncontrolled entity with regard to prices charged by the entities.
B) To allow the IRS to select the best method for determining transfer prices for U.S.taxpayers.
C) To alleviate double taxation problems generated by related entities doing business in two or more countries.
D) To provide tax benefits to U.S.multinationals that export U.S.produced property.

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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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Madison is a citizen of Italy and does not have permanent resident status in the United States.During the last three years she has spent a number of days in the United States. Madison is a citizen of Italy and does not have permanent resident status in the United States.During the last three years she has spent a number of days in the United States.   Is Madison treated as a U.S.resident for the current year? A) Yes,because Madison was present in the United States at least 31 days during the current year and 195 days during the current and prior two years (using the appropriate fractions for the prior years) . B) No,because although Madison was present in the United States at least 31 days during the current year,she was not present at least 183 days in a single year during the current or prior two years. C) No,because Madison is a citizen of Italy. D) No,because Madison was not present at least 183 days during the current year. Is Madison treated as a U.S.resident for the current year?


A) Yes,because Madison was present in the United States at least 31 days during the current year and 195 days during the current and prior two years (using the appropriate fractions for the prior years) .
B) No,because although Madison was present in the United States at least 31 days during the current year,she was not present at least 183 days in a single year during the current or prior two years.
C) No,because Madison is a citizen of Italy.
D) No,because Madison was not present at least 183 days during the current year.

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Which of the following statements regarding the sourcing of dividend income is true?


A) Dividends from foreign corporations are always foreign source.
B) Dividends are sourced based on the residence of the recipient.
C) Dividends from foreign corporations are foreign-source only to the extent that 80% or more of the foreign corporation's gross income for the 3 years preceding the year of the dividend payment was effectively connected with the conduct of a foreign trade or business.
D) A percentage of dividends from foreign corporations are U.S.source to the extent that 25% or more of the foreign corporation's gross income for the 3 years preceding the year of the dividend payment was effectively connected with the conduct of a U.S.trade or business.

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Income from international communications activities earned by a U.S.person is sourced 100% in the United States.

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U.S.income tax treaties:


A) Provide for primary taxation with a tax credit for income sourced in one country and earned by a resident of the other treaty country.
B) Provide for taxation exclusively by the source country.
C) Provide that the country with the highest tax rate will be allowed exclusive tax collection.
D) Provide for taxation exclusively by the country of residence.

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Miles,Ltd. ,a foreign corporation,has a U.S.branch that earns effectively connected earnings and profits (after income taxes) of $600,000 for the tax year.The branch's U.S.net equity at the beginning of the tax year is $2 million and at the end of the tax year is $2,800,000.Miles is in a nontreaty country.Miles' branch profits tax for the year is:


A) $0.
B) $180,000.
C) $600,000.
D) $2,800,000.

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RainCo,a domestic corporation,owns a number of patents related to designing umbrellas.RainCo licenses these patents to unrelated parties.TexCo,a domestic corporation,paid RainCo $100,000 in royalties related to these licenses.TexCo uses the patent information in its manufacturing process in its Canadian plant.IrishCo,an Irish corporation,paid RainCo $25,000 in royalties related to the licenses.IrishCo uses the patent information in its manufacturing process in its Michigan manufacturing plant.How much foreign-source royalty income did RainCo earn from these licenses?


A) $0.
B) $25,000.
C) $100,000.
D) $125,000.

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