Principles Of Taxation For Business And Investment Planning 2020 Edition
Principles Of Taxation For Business And Investment Planning 2020 Edition
23rd Edition
ISBN: 9781259969546
Author: Sally Jones, Shelley C. Rhoades-Catanach, Sandra R Callaghan
Publisher: McGraw-Hill Education
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Chapter 1, Problem 9IRP
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Taft Corporation operates primarily in the United States. However, a few years ago it opened a plant in Spain to produce merchandise to sell there. This foreign operation has been so successful that during the past 24 months the company started a manufacturing plant in Italy and another in Greece. Financial information for each of these facilities follows:The company’s domestic (U.S.) operations reported the following information for the current year:Taft has adopted the following criteria for determining the materiality of an individual foreign coun­try: (1) Sales to unaffiliated customers within a country are 10 percent or more of consolidated sales or (2) long-lived assets within a country are 10 percent or more of consolidated long-lived assets.Apply Taft’s materiality tests to identify the countries to report separately with respect to (a) revenues and (b) long-lived assets.
SkiCo, a Maine corporation, operates a branch in Peru selling equipment to persons planning to ski in the Andes mountain range. Peru levies an income tax on Peruvian companies equal to 25 percent of net income, with respect to foreign corporations such as SkiCo that operate in Peru, the government does not impose an income tax, but does impose a "foreign-company sales tax" equal to eight percent of the foreign corporation's Peruvian sales revenue. During the year, SkiCo's branch has sales of $200,000, expenses of $150,000 and pays a foreign-company sales tax of $16,000. If SkiCo were a Peruvian company, it would have paid Peruvian income tax of $12,500. (a) Is the foreign company sales tax creditable under §901 or §903? (b) Assume that SkiCo is required to pay both the $16,000 foreign-company sales tax and $12,500 Peruvian income tax on its branch operations. Is either type of Peruvian tax creditable under §901 or §903?
Chapeau Company, a U.S. corporation, operates through a branch in Champagnia. The source rules used by Champagnia are identical to those used by the United States. For 2022, Chapeau has $9,600 of gross income: $5,760 from U.S. sources and $3,840 from sources within Champagnia. The $5,760 of U.S. source income and $3,360 of the foreign source income are attributable to manufacturing activities in Champagnia (foreign branch income). The remaining $480 of foreign source income is passive category interest income. Chapeau had $2,400 of expenses other than taxes, all of which are allocated directly to manufacturing income ($960 of which is apportioned to foreign sources). Chapeau paid $568 of income taxes to Champagnia on its manufacturing income. The interest income was subject to a 10 percent withholding tax of $48. Compute Chapeau's total allowable foreign tax credit in 2022. Note: Do not round any division. Round other intermediate computations to the nearest whole dollar amount. Total…
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