Chapter 25: Taxation of international transactions
NRAs must pay tax equal to at least the lesser of
26% (or 28%) of AMTI, or Regular US rates on net real property gain for the year
To apply, foreign corp must have been a CFC for an uninterrupted period of ____during tax year
30 days or more
If transportation begins or ends in the US and the US is not merely an intermediate stop, __ % of such income is US source income
50
A domestic corp or partnership continues to be treated as domestic if:
A foreign corp acquires substantially all of its properties after March 4, 2003 The former owners of the US corp hold >=80% of foreign corps stock after transaction The foreign corp does not have substantial business activities in its country of incorporation
commercial traveler
A limited ___ exception applies to non-resident aliens in the US 90 days or less during the tax year. If US compensation does not exceed $3,000 and the services are performed for a non- US enterprise not engaged in a US trade or business, the income is not US sourced
FTC cannot exceed the lesser of:
Actual foreign taxes paid or accrued, or US taxes (before FTC) on foreign-source taxable income
either FMV or tax book value of assets
Allocation and apportionment of interest expense is based on
Green card test
An individual is considered a resident of the US on the first day of the tax year in which he or she is physically present in the US after the card is issued Residency status remains in effect until the card is revoked or the individual had abandoned permanent resident status
Exceptions to interest income being treated as source income inside the US
Certain interest received from a US corp that earned >= 80% of its active bus income from foreign sources over the prior 3 yr period is treated as foreign-source income Interest received on amts deposited with a foreign branch of a US corp is treated as foreign-source income if the branch is engaged in the commercial banking business
Major tax issues related to foreign currency exchange include:
Character of gain/loss (capital or ordinary) Date of recognition of gain/loss source of foreign currency gain/loss
Exceptions apply to the substantial presence test for
Commuters from Mexico and Canada who work in the US Foreign gov't-related individuals (ex diplomats) Qualified teachers Trainees and students Certain professional athletes
"gross up" (add to income)
Corporations choosing the FTC for deemed-paid foreign taxes must __ dividend income by the amount of deemed-paid taxes
foreign-source income
Gain attributable to an office or fixed place of business maintained outside the US by a US resident is ___
Income from the sale of personal property other than inventory is sourced at the residence of the seller unless:
Gain on the sale of depreciable personal property Gain on the sale of intangibles
the residence of the seller
Generally, income, gain, or profit from the sale of personal property is sourced according to ____
location of real property
Generally, the ____ determines the source of any income derived from the property
Residency test for non citizens
Green Card test Substantial Presence test
where the sale takes place
Income from the sale of p however, is sourced based on ____
When the seller has produced the inventory property:
Income must be apportioned between the country of production and the country of sale 50/50 allocation is used unless taxpayer elects to use the independent factory price or the separate books and records method
US-source income
Income or gain attributable to an office or fixed place of business maintained in the US by a nonresident is ____
Subpart F Income includes the following
Insurance income (section 953) Foreign base company income (954) International boycott factor income (999) Illegal bribes Income derived from section 901(j) foreign country
taxing rights
International tax treaties generally provide ___ for the taxable income of residents of one treaty country who have income sourced (earned in) in the other treaty country
Section 332
Liquidating a US subsidiary into an existing non-US subsidiary
withholding
Most US income tax treaties reduce _____ on certain items of investment income
FMV
Once ___ is used for interest expenses, the taxpayer must continue to use the method
Certain types of income generated by a controlled foreign corporation are currently included in income by US shareholders, regardless of distributions, including:
Pro rata share of Subpart F income Increase in earnings that the CFC has invested in US property
Outbound capital changes
Similar to exchanges of assets for corporate stock of a domestic corporation, realized gain/loss may be deferred on certain ____, moving corporate business outside the US
allow a credit for thee taxes paid on the twice-taxed income
Tax treaties generally give one country primary taxing rights and require the other country to ___
US dollar
Taxpayers default functional currency is the
minimize taxation
Taxpayers may be tempted to manipulate the source income of allocation and apportionment of deductions to
Foreign Tax credit
The U.S. allows a ___ to be claimed against the U.S. tax to reduce double-taxation (US and foreign) of the same income
"worldwide" income
The U.S. taxes U.S. taxpayers on ____ income
Model Income Tax Treaty
The US has developed a ____ as the starting point for negotiating income tax treaties with other countries
Outbound taxation and inbound taxation
The US taxation of cross-border transactions can be organized in terms of :
Tax consequences of transferring assets to a foreign corporation depends on
The nature of the exchange The assets involved Income potential of the property Character of the property in the hands of the transferor or transferee
Substantial presence test
This mathematical test applies to people in the US without a green card An individual in the US 182=3 days during the year is a resident for the year for tax purposes
"tainted" assets
Transfer of ___ triggers immediate recognition of gain but not loss
How to calculate US taxes (before FTC) on foreign-source taxable income
US tax before FTC x (Foreign-source taxable income/ worldwide taxable income)
Generally, nonresident alien individuals (NRAs) and foreign corps are subject to US taxation on
US-source income and Foreign-source income when that income is effectively connected with the conduct of a US trade or business
US shareholder
a US person who owns (directly or indirectly) 10% or more of voting stock of the foreign corp
permanent establishment
a branch, office, factory, workshop, warehouse, or other fixed place of business
Qualified business unit (QBU)
a separate and clearly identified unit of a taxpayers trade or business uses a foreign currency as its functional currency
An exception to the foreign tax credit requires translation at the rate when the taxes were ___
actually paid
Interest expense
allocated and apportioned to all activities and property regardless of the specific purpose for incurring the debt
Controlled foreign corporations
any foreign corp in which > 50% of total voting power or value is owned by US shareholders on any day of tax year
Indirect credit
available to US corporations for dividends received (actual or constructive) from foreign corporations foreign corp pays tax in foreign jurisdiction When foreign corp remits dividends to the US corp, the income is subject to tax in the US
Direct foreign tax credit
available to taxpayers who pay or incur a foreign income tax. Only the person who bears the legal burden of the foreign tax is eligible for the credit
For purposes of the foreign tax credit, foreign taxes accrued are translated at the ____
average exchange rate for the tax year
No gain or loss is recognized on foreign currency transactions until the transaction is ____
closed/complete
When foreign branch operations use a foreign currency as functional currency
compute profit/loss in foreign currency translate into US dollar using average exchange rate for the year
The American Jobs Creation Act of 2004
created strict rules to deter owners from turning domestic entities into foreign entities
statutory and residual groupings (foreign vs domestic)
deductions are apportioned between
classes of income
deductions directly related to an activity or property are allocated to ___
To minimize current tax liability, taxpayers often attempt to ____
defer the recognition of taxable income
Limit
designed to prevent foreign taxes from being credited against US taxes on US-source taxable income
Foreign tax credit provisions
designed to reduce the possibility of double taxation allows a credit for foreign taxes paid may be direct or indirect elect to do it
Citizenship
determined under the immigration and naturalization laws of the US statutes broken down into nationality at birth or through naturalization
Dividend income
dividends from domestic corps are sourced inside the US and dividends paid by a foreign corp are foreign-source income
Indirect FTC is only available if
domestic corp owns 10% or more of voting stock of foreign corp
Gains and losses realized by NRAs ad foreign corps on US real property interests (USRPI) are treated as
effectively connected with the conduct of a US trade or business
Foreign taxes are deemed paid by the US corporate shareholders in the same proportion as dividends bear to _____
foreign corp's post-1986 undistributed E&P
Interest income
from the US gov't, the District of Columbia, from US corporations and from non-corporate US residents is treated as US source income
Treaty provisions
generally override the treatment called for under the Internal Revenue Code or foreign tax statutes
section 482
gives the IRS the power to reallocate income, deductions, credits, or allowances between or among related persons when: necessary to prevent the evasion of taxes to reflect income more clearly
Exceptions to dividend income being foreign-source income
if >= 25% of foreign corps income is effectively connected with a US trade or business for the 3 tax years immediately preceding dividend pmt, that percentage of the dividend is treated as US source income
Distributions from foreign corporations (out of E&P)
included in income at exchange rate in effect on date of distribution. No exchange gain/loss is recognized
Non-resident alien income not "effectively connected" with US trade or business includes
includes dividends, interest, rents, royalties, certain compensation, premiums, annuities, and other fixed,determinable, annual, or periodic income 30% tax generally is withheld by payers of the incom
Nonresident alien (NRA)
individual who is not a citizen or resident of the US
"tainted" assets include:
inventory installment obligations and accounts receivable
IF the transmission is from one point to another in the US via satellite,
it is not considered international communication
For foreign taxpayers, the US generally taxes only income earned within ____
its borders
Foreign currency transactions
may be necessary to translate amounts denominated in foreign currency into US dollars
Deductions and losses
must be allocated and apportioned between US and foreign source income
Direct credit
not available to a US corporation operating in a foreign country through a foreign subsidiary
Gain or loss
on foreign currency transactions is considered separately from the underlying transaction (purchase or sale of goods)
Section 862
provides that if interest, dividends, personal service income, income from the sale or use of property, or other income, is not US source income, then it is foreign-source income
Exchange gains/losses
recognized on remittance from the branch
Inbound taxation
refers to the US taxation of US source income earned by foreign taxpayers
outbound taxation
refers to the US taxation of foreign-source income earned by US taxpayers
One way to defer the recognition of taxable income for controlled foreign corporations is to
shift the income-generating activity to a foreign entity that is not within US tax jurisdiction
Gain on the sale of intangibles
sourced according to prior amortization Contingent pmts are sourced as royalty income
Gain on the sale of depreciable personal property
sourced according to prior depreciation deductions any excess gain is sourced the same as the sale of inventory
Rent and Royalties- income received for tangible property (rents)
sourced in country in which rental property is located
Rent and royalties- Income received for intangible property (patents and copyrights)
sourced where property producing the income is used
Personal service income
sourced where the services are performed
Section 351
starting a new corp outside the US
Functional currency approach under FAS 52 is used for
tax purposes
Which country receives primary taxing rights usually depends on
the residence of the taxpayers or The presence of a permanent establishment
direct bearing on a number of tax provisions
the sourcing of income and deductions inside or outside the US has a _____
International communication income derived by a US person is 50% US source income if
the transmission is between the US and a foreign country
foreign currency
treated as property other than money
Income from sale of personal property depends on several factors including:
whether the property was produced by the seller The type of property sold The residence of the seller
Indirect FTC =
(Actual or constructive dividend/Post-1986 undistributed E&P) x Post-1986 foreign taxes