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Generally, these rules are intended to prevent income from certain passive assets from accumulating off-shore free from U. capital gains tax rates, state taxes, suv tax credit, irs office locations, irs deductions, irs tax, tax planning, property tax rates, nys tax forms, alternative minimum tax, irs home page, sales tax, new jersey department of taxation, irs form 8863, oregon state tax forms, georgia state tax forms, 2002 income tax rates, 2002 tax calculator, turbo tax online, irs tax table, orange county tax collector, state income tax forms, irs form w9 State taxes. S. taxation. Three main sets of rules comprise this anti-deferral regime: the controlled foreign corporation rules, the foreign personal holding company rules, and the passive foreign investment company rules. capital gains tax rates, state taxes, suv tax credit, irs office locations, irs deductions, irs tax, tax planning, property tax rates, nys tax forms, alternative minimum tax, irs home page, sales tax, new jersey department of taxation, irs form 8863, oregon state tax forms, georgia state tax forms, 2002 income tax rates, 2002 tax calculator, turbo tax online, irs tax table, orange county tax collector, state income tax forms, irs form w9 Illinois tax form. These rules that were designed for major multi- national companies apply with equal force to small closely held foreign companies. Controlled Foreign CorporationsA controlled foreign corporation (CFC) is a foreign corporation in which U. S. capital gains tax rates, state taxes, suv tax credit, irs office locations, irs deductions, irs tax, tax planning, property tax rates, nys tax forms, alternative minimum tax, irs home page, sales tax, new jersey department of taxation, irs form 8863, oregon state tax forms, georgia state tax forms, 2002 income tax rates, 2002 tax calculator, turbo tax online, irs tax table, orange county tax collector, state income tax forms, irs form w9 California state taxes. persons, each of whom is at least a 10 percent shareholder, own as a group, more than 50 percent of the vote or value. Under the stock attribution rules for determining whether a foreign corporation is a CFC, stock ownership is attributed from an individual''s spouse, children, grandchildren and parents who are also shareholders. If a nonresident shareholder is a spouse, child, grandchild, or grandparent of the U. S. person, that person''s stock is not attributed to the U. S. person for purposes of determining CFC status. Generally, 10 percent U. S. shareholders are taxed currently on certain income of the corporation even if no income is distributed. The income, a description of which is beyond the scope of this article, is reported on the individual''s U. S. tax returns as a deemed dividend. 10 percent U. S. shareholders of a CFC are required to file Form 5471, Information Return of U. S.

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