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Foreign Tax Credit Tx 8300 Learning Objectives You should be able to: 1. 2. 3. 4. 5. 6. Identify characteristics of a _________ tax, Determine a DC’s ______ paid credit, Calculate the foreign tax credit _________, Explain the function of FTC _______, Compute a U.S. person’s ____ from outbound investments, and Explain tax _______. Dealing with Double Tax • ___________ systems exempt FSI. • ______ systems allow FTC. • ______ systems exempt some income and otherwise allow the FTC. • ________ often modify how these systems address double tax problems. Basic Choices in U.S. • Deduct: – Foreign ______ tax, §164(a)(3) – Any foreign ___ of trade or business, §162(a) – Any foreign ___ of investment activity, §212(1) • Credit foreign income tax, §901(a) – Annual _________ – _____ return to change election Creditable Foreign Levies • Must be a ___ and • Either: – Its ___________ character is that of income tax in ____ sense or – It ___________ for generallyimposed income tax What Is a Tax? • __________ transfer – Excludes payments > ____ foreign tax liability – Must exhaust all practical ________ • Pursuant to government’s ______ authority – Excludes _____, penalties, interest, custom duties, and compulsory _____ – Excludes levies for specific _________ ________ not otherwise available Example: Dual Capacity Domco earns $4.2 million before-tax profit mining diamonds in Hostia. Hostia imposes a “diamond tax” at ___% of the profit. Since Domco pays the diamond tax, it does not pay the general income tax of 25%. What is Domco’s creditable tax? CHECK (A - B - C) x D 1 - D where A = gross receipts B = cost and expenses C = diamond tax D = general income tax rate Profit (pre-royalty) Diamond tax Income tax Royalty deduction Profit Income tax rate Creditable tax Predominant Character • Likely to reach net ____ – ____________ test, – Gross _______ test, and – ___ income test • Not a ____-up levy Realization Test • Focuses on ______ of tax’s assessment • Satisfied if assessment follows: – ___________ event – Pre-___________ event in some cases Gross Receipts Test • Foreign tax base must begin with: – Actual _____ ________ or – Estimated gross receipts if result does not ______ actual gross receipts • Gross receipts may be estimated when transactions occur between _______ persons • _____estimating gross receipts is okay Net Income Test • Foreign tax must allow _________ of costs and expenses to determine tax base • ____estimating costs and expenses okay Soak-Up Tax • Applies only to extent ___ is permitted • Since U.S. law does not allow, foreign government does not ______ soak-up tax Substitute for Income Tax • Requirements: – Must apply __ ____ __ income tax – Cannot be a _______ tax • Examples: – ___________ taxes on nonresidents – Special ________ taxes Summary: Creditable Taxes Must Be a Tax 1. Compulsory 2. Per tax authority Predominant Character 1. Realization test 2. Gross receipts test 3. Net income test 4. Not a soak-up Substitute for Income Tax 1. In lieu of 2. Not a soak-up Creditable Taxes Include • Foreign income tax paid ________, §901 – Partnership’s tax _____ through to U.S. partners – Foreign branch’s tax __________ to U.S. corporation • Foreign tax in lieu of income tax, §___ – Withholding tax on foreign investment income – Special industry tax • ______ paid tax, §902 Cite Code Section Identifying Each Levy as Creditable Tax U.S. “green card holder” pays Belgian income tax on foreign profits U.S. citizen has Dutch tax withheld on her Dutch dividends U.S. individual is partner in U.K. partnership that pays U.K. income tax U.S. corporation has Cyprian sales office that pays Cyprian income tax U.S. corporation pays Polish income tax on profit dependent agent generates U.S. corporation’s German subsidiary pays German income tax U.S. family’s closely-held Mexican corporation pays Mexican income tax DPT Requirements DC • DC owns foreign sub – – – – Direct ownership of ___% at each link Indirect ownership of __% in each sub For tiers ___, foreign subs are CFCs For tiers ___, DC is U.S. “shareholder” • DC receives ________ FC1 FC2 FC3 FC4 FC5 FC6 Example: DPT Requirements DC 40% FC1 10% FC2 When FC2 remits dividends to FC1 and FC1 remits dividends to DC, can DC claim a foreign tax credit for FC2’s foreign income taxes? DC with Foreign Branch DC Remit $75 FB Profit $100 U.S. rate FTC U.S. tax Profit FIT Remit $100 DC with Foreign Subsidiary DC Dividend + gross up $100 U.S. tax rate Tax before DPC Deemed paid credit U.S. tax Dividend $75 FC Profit FIT E&P $100 Calculating Deemed Paid Tax DPT = Dividends from foreign sub Post -1986 E & P of foreign sub x Post -1986 foreign income tax Example: DPT for Single Tier Domco owns 40% of Forco. Forco earns $1,000 profit, pays $300 in foreign income tax, and remits $____ to Domco as dividends. What is Domco’s deemed paid tax? By how much do the dividends increase Domco’s gross income? Domco Dividend 40% Forco Profit $1,000 FIT 300 E&P $ 700 Example: DPT for Single Tier Forco is Domco’s newly-organized, 100%-owned foreign subsidiary. Forco earns $100 profit, pays $36 in foreign income tax, and remits $___ to Domco as dividends. Domco’s foreign branch makes $500 gross profit from sales and pays $50 foreign income tax. 1. What is Domco’s deemed paid tax? 2. What is Domco’s gross income? 3. Assuming Domco’s FTC limit is $67, what is Domco’s FTC? Domco Dividend Branch 100% Forco Profit FIT E&P $100 36 $ 64 Gross FIT $500 50 Example: DPT for Two Tiers Domco owns 100% of Forco1, and Forco1 owns 100% of Forco2. Forco1 earns $1,000 profit, pays $400 in foreign income tax, and remits $____ to Domco as dividends. Forco2 earns $100 profit, pays $25 in foreign income tax, and remits $30 to Domco as dividends. What is Domco’s deemed paid tax? By how much do the dividends increase Domco’s gross income? Domco Dividend 100% Forco1 Dividend $30 Profit $1,000 FIT 400 $ 600 100% Forco2 Profit FIT E&P $100 25 $ 75 Example: DPT for Two Tiers Domco owns 90% of Forco1, and Forco1 owns 80% of Forco2. Forco1 earns $2,000 profit, pays $500 in foreign income tax, and remits $____ to Domco as dividends. Forco2 earns $1,000 profit, pays $400 in foreign income tax, and remits $200 to Forco1 as dividends. What is Domco’s deemed paid tax? By how much do the dividends increase Domco’s gross income? Domco Dividend 90% Forco1 Dividend $200 Profit $2,000 FIT 500 $1,500 80% Forco2 Profit $1,000 FIT 400 E&P $ 600 Foreign Tax Credit Basics Foreign tax credit is lesser of: Creditable tax or FTC limitation FTC Limit = FSTI x U.S. ETR Creditable tax is sum of: Foreign income tax (§____) Tax in lieu of FIT (§____) Deemed paid tax (§____) Tax Rate Basics U.S. effective tax rate = U.S. tax U.S. profit Foreign effective tax rate = Foreign tax Foreign profit Worldwide effective tax rate MTR from foreign investment = U.S. tax + Foreign tax Worldwide profit = Incremental foreign tax Incremental foreign profit Example: Foreign Tax Credit Domco’s U.S. ETR is 34%. Domco earns $____ foreign profit and $300 U.S. profit. Its creditable taxes are $60. Compute the following for Domco: 1. Foreign ETR 2. §904 limitation 3. Foreign tax credit 4. U.S. tax liability 5. Excess credit or excess limit 6. Worldwide ETR 7. MTR on foreign profit Example: Foreign Tax Credit Domco’s U.S. ETR is 34%. Domco earns $200 foreign profit and $300 U.S. profit. Its creditable taxes are $___. Compute the following for Domco: 1. Foreign ETR 2. §904 limitation 3. Foreign tax credit 4. U.S. tax liability 5. Excess credit or excess limit 6. Worldwide ETR 7. MTR on foreign profit Examples: Marginal Tax Rates What is Domco’s MTR on its foreign profit in each of the following situations? 1. U.S. ETR is 34%, and foreign ETR is 30%. 2. U.S. ETR is 34%, and foreign ETR is 36%. 3. U.S. ETR is 34%, and foreign ETR is 42%. 4. U.S. ETR is 34%, and foreign ETR is 25%. Examples: U.S. Residual Tax Assume the U.S. effective tax rate is 35%. In the following situations, what is Domco’s U.S. residual tax rate on its foreign profits? 1. Foreign ETR is 30%. 2. Foreign ETR is 36%. 3. Foreign ETR is 42%. 4. Foreign ETR is 25%. Business in Low-Tax Countries • Capital ______ neutral • Residual U.S. tax due when ______ ________ • MTR equals ____ ___ if profits remitted currently • Creates incentive for ____taxed _______ income Business in High-Tax Countries • • • • Capital ______ neutral No ____ ________ tax due MTR equals _______ ___ Creates incentive for ___taxed _______ income Excess Credit Planning FTC = Lesser of : Creditable taxes or FSTI x (WWTI x U.S. ETR) WWTI • Decrease foreign ETR – Remit foreign profits in __________ form – ______ offshore in high-tax countries – Use _______ _______ to shift income from high-to low-tax countries • Increase low-taxed FSTI – Export, passing title ______ – Lease ______ assets and buy ____ assets – License technology for use abroad in country with ___ royalty ___________ tax Deferral Effect on MTR • When DCs conduct business abroad through foreign subsidiaries, deferring dividends ______ the MTR on foreign profits. • In low-tax countries, ____ ________ tax is deferred. t us - t f MTR = t f + (1 + d)y • In high-tax countries, _______ ___________ tax is deferred. t div (1 - t f ) MTR = t f + (1 + d)y Example: MTR in Low-Tax Country MTR = t f + t us - t f (1 + d)y Domco’s wholly-owned foreign subsidiary, Forco, operates in a country with a ___% ETR. Assume the U.S. ETR is 34%, and Forco distributes all its E&P as dividends in the current year. What is Domco’s MTR on Forco’s foreign profits? Assume the same facts except that Forco does not plan to distribute current profits for 4 years and the applicable discount rate is 12%. What is Domco’s MTR on Forco’s foreign profits? Example: MTR in High-Tax Country MTR = t f + t div (1 - t f ) (1 + d)y Domco’s wholly-owned foreign subsidiary, Forco, operates in a country with a ___% ETR and a ___% dividend withholding tax. Assume the U.S. ETR is 34%, and Forco distributes all its E&P as dividends in the current year. What is Domco’s MTR on Forco’s foreign profits? Assume the same facts except that Forco does not plan to distribute current profits for 4 years and the applicable discount rate is 12%. What is Domco’s MTR on Forco’s foreign profits? FTC Baskets • • • • Cross-crediting decreases U.S. ________ ___ Investment income is highly ______ Congress decided to limit _______________ Nine baskets, each containing – __________ taxes – FTC __________ – _________ periods FSTI FTC = Lesser of : Creditable taxes or x U.S. tax before FTC WWTI Pre-2007 FTC Baskets • Cross-crediting ______ baskets is permitted Residual Income FSC Dividends Passive Income • Cross-crediting _____ baskets is not FSC Foreign Trade Income • Each basket has its own §904 _________ formula and ________ period • No segmentation by ______ High Withholding Tax Interest DISC Dividends Noncontrolled §902 Corporation Dividends Shipping Income Financial Services Income Passive Income Basket • Portfolio dividends, some interest, non-business _____ and royalties, annuities, some net _____ • High-taxed income is “_________” • ___-tax basket Residual Basket • ____________, marketing, and service income • _______ profit (other than FSC or DISC) • Business rent and _______ income • “______ ___” passive income Example: FTC Baskets Domco earns income and pays taxes as follows: Taxable Income U.S. Tax Before FTC Foreign Tax $ 400,000 $ 136,000 $ 180,000 U.S. Operations 500,000 170,000 0 Foreign Portfolio Dividends 100,000 34,000 10,000 $1,000,000 $ 340,000 $ 190,000 Foreign Operations Totals What is Domco’s foreign tax credit if it ignores separate baskets? Example: FTC Baskets Domco earns income and pays taxes as follows: Taxable Income U.S. Tax Before FTC Foreign Tax $ 400,000 $ 136,000 $ 180,000 U.S. Operations 500,000 170,000 0 Foreign Portfolio Dividends 100,000 34,000 10,000 $1,000,000 $ 340,000 $ 190,000 Foreign Operations Totals What is Domco’s foreign tax credit if it considers separate baskets? CFC Look-Through • CFCs are foreign corporations that U.S. shareholders _______. • Look through rules allocate foreign _______ income U.S. companies receive from ____ among baskets. Example: Look-Through Domco receives $______ dividends from its wholly-owned foreign subsidiary, Forco. Forco pays ___% of its dividends from E&P attributable to its business operations and the rest from E&P attributable to its passive investment activities. How does Domco treat these dividends for FTC purposes? Recapture of Foreign Loss • U.S. companies pay U.S. tax on _________ income. • Thus, overall losses from foreign activities are deductible against ____ source income. • However, this reduces ____ tax on ____ source income. • So, §904(f) contains a _________ rule. Recapture of Foreign Loss • If overall foreign loss occurs, – ______ against U.S. income but – Recapture in later year • Involves treating ___ as ____ • Affects ___ limitation • Recapture lesser of: – _______ foreign ____ account or – ___% of current year’s ____ Example: OFL Recapture Domco earns income and pays taxes as follows: Irish Income Irish Taxes U.S. U.S. Tax Income Before FTC 2003 $-24,000 0 $ 74,000 $ 7,500 2004 -10,000 0 80,000 12,500 2005 30,000 3,750 70,000 22,500 2006 40,000 5,000 60,000 22,250 What is Domco’s foreign tax credit in 2005 and 2006? Tax Sparing • Host countries may allow “tax ________” • Holiday creates incentive to invest when ____ country has: – ___________ system or – Tax _______ • Sparing allows residents to ______ foreign taxes the host country ______ Tax Sparing • “Tax sparing credits” are the same as foreign tax credits except investors ___ __ foreign income tax • __ U.S. treaties allow tax sparing A company invests abroad and earns $100. Assuming home and host country tax rates of 50% and ___%, respectively, determine the total tax liability with: • No tax holiday • Tax holiday without tax sparing • Tax holiday with tax sparing Tax Sparing Example No Tax Holiday Host Country Tax liability Home Country Initial tax Tax credit Tax liability Tax Holiday without Sparing Tax Holiday with Sparing