Chapter 16: U'S' Taxation of ForeignRelated Transactions - PowerPoint PPT Presentation

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Chapter 16: U'S' Taxation of ForeignRelated Transactions

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FSC rules replaced with extraterritorial income rules. WTO considers extraterritorial income rules an illegal export subsidy. 27 ... – PowerPoint PPT presentation

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Title: Chapter 16: U'S' Taxation of ForeignRelated Transactions


1
Chapter 16U.S. Taxation ofForeign-Related
Transactions
Chapter 16 U.S. Taxation of Forteign-Related Tran
sactions
2
U.S. TAX OF FOREIGN-RELATED TRANSACTIONS
  • Jurisdiction to tax
  • Taxation of U.S. citizens residents
  • Taxation of nonresidents
  • U.S. taxation of foreign activity

3
Jurisdiction to Tax
  • Taxpayers country of citizenship
  • Taxpayers country of residence
  • Type of income earned
  • Location where the income is earned

4
Taxation of U.S. Citizens and Residents
  • U.S. citizens and resident aliens taxed on
    worldwide income
  • Income earned in foreign countries or U.S.
    possessions receives special treatment
  • Foreign tax credit
  • Foreign earned exclusion

5
Foreign Tax Credit (FTC)(1 of 2)
  • FTC permits U.S. citizens and residents to avoid
    double taxation
  • Directly reduces U.S. tax liability
  • FTC limited to lesser of
  • Foreign tax actually paid OR
  • foreign taxable income_ U.S. tax
  • worldwide taxable income x liability
  • Source of income rules (used to determine
    numerator) listed on page C16-6

6
Foreign Tax Credit (FTC)(2 of 2)
  • Unused FTC carried back two years and forward
    five years on a FIFO basis to a year where
    taxpayer has an excess credit limitation
  • Special FTC limitation
  • Ten separate baskets of income
  • Foreign tax credit calculated for each basket of
    income
  • See page C16-7 for partial list of baskets

7
Foreign Earned Income Exclusion (FEI) (1 of 4)
  • FEI available to U.S. citizens and resident
    aliens working abroad
  • Eligibility
  • Bona fide resident test
  • Present in foreign country uninterrupted for
    entire tax year and maintain tax home in foreign
    country

8
Foreign Earned Income Exclusion (FEI) (2 of 4)
  • Eligibility (continued)
  • Physical presence test
  • Taxpayer must be physically present in a foreign
    country for 330 full days during a 12-month
    period, AND
  • Maintain a tax home during that period
  • Foreign earned income
  • Wages, salaries, fees as compensation for
    personal services actually rendered

9
Foreign Earned Income Exclusion (FEI) (3 of 4)
  • Amount of exclusion
  • Lesser of
  • 80,000, OR
  • Foreign earned income for current year, OR
  • 219.18 x no. of qualifying days in current year
  • Exclusion for taxable housing allowance
  • Limitation lesser of
  • Actual housing amount included in income, OR
  • 10,842 (2002) x (qualifying days/365)

10
Foreign Earned Income Exclusion (FEI) (4 of 4)
  • Housing allowance (continued)
  • Housing costs incurred in excess of 10,842 are a
    for AGI deduction
  • Housing allowance exclusion reduces amount
    eligible for FEI
  • FTC and FEI are mutually exclusive
  • Claim either the FTC or the FEI on foreign earned
    income, but not both

11
Taxation of Nonresidents(1 of 5)
  • Resident aliens are taxed same as U.S. citizens
  • Nonresident aliens generally taxed only on U.S.
    source income
  • Taxpayer is a resident alien if they meet one of
    the two tests

12
Taxation of Nonresidents(2 of 5)
  • Resident alien tests
  • Green-card test
  • Permanent resident w/ green card visa
  • Physical presence test
  • Present ? 31 days during current calendar year
    and present ? 183 weighted average days during a
    three year period
  • Current year 1 day counted as 1 day
  • Prior year 1 day counted as 1/3 day
  • 2nd prior year 1 day counted as 1/6 day

13
Taxation of Nonresidents(3 of 5)
  • Most U.S. source passive or investment income is
    taxed at 30
  • 30 applied to gross amount
  • U.S. payer must withhold tax
  • U.S. payer responsible for tax if not withheld
  • Income exempt from U.S. taxation
  • Non-USToB capital gains if individual physically
    present lt 183 days during year

14
Taxation of Nonresidents(4 of 5)
  • Exempt income (continued)
  • Non-USToB interest from banks or other financial
    institutions not taxed
  • Portfolio interest
  • Income from casual sale of personal property
  • Individuals must itemize deductions

15
Taxation of Nonresidents(5 of 5)
  • Normal deductions apply for items effectively
    connected to a USToB
  • Gains from real property considered effected
    connected to a USToB
  • Tax treaties often reduce or eliminate U.S. for
    many types of income

16
U.S. Taxation of Foreign Activity
  • Domestic corporations
  • Foreign corporations
  • Deemed paid foreign tax credit
  • Controlled foreign corporations
  • Foreign Sales Corporations
  • Puerto Rico and U.S. possessions corporations

17
Domestic Corporations
  • Domestic subsidiary corporations
  • Can file consolidated return w/parent
  • Parent protected from foreign creditors of
    subsidiary
  • Foreign branches
  • Income and losses taxed currently
  • Eligible for direct FTC (described earlier)

18
Foreign Corporations(1 of 2)
  • If domestic corp owns ? 10 of foreign corp,
    domestic corp eligible for deemed paid credit
    for dividends received from foreign corp

19
Foreign Corporations(2 of 2)
  • ? 10 domestic corp owner can also claim
    dividends received deduction
  • U.S. tax on foreign subs income deferred until
    dividends received

20
Deemed PaidForeign Tax Credit
  • Deemed paid credit calculation

21
Controlled ForeignCorporations (CFC) (1 of 3)
  • Typical tax-avoidance scenario of a CFC

22
Controlled ForeignCorporations (CFC) (2 of 3)
  • CFC definition
  • gt 50 of foreign corp stock owned by U.S.
    shareholders
  • U.S. shareholder defined as owning ?10 of stock
  • Some income forms (Subpart F income) of the CFC
    are taxed in the year in which they are earned.

23
Controlled ForeignCorporations (CFC) (3 of 3)
  • Tax-deferred earnings can be taxed under Subpart
    F when invested in U.S. property.
  • Previously taxed income is distributed tax-free.
  • Special rules apply to the sale or exchange of
    CFC stock.

24
Foreign SalesCorporations (FSC) (1 of 3)
  • FSC is a special export entity
  • Must meet certain mandated administrative and
    economic activity requirements.
  • Part or all of FSCs foreign trade income exempt
    from U.S. taxation
  • Exempt amount based on transfer pricing method
    used.
  • May use other-than-arms-length pricing.

25
Foreign SalesCorporations (FSC) (2 of 3)
  • Dividend distributions may be eligible for a 100
    dividends-received deduction.
  • Foreign tax credit also available for taxes
    withheld on dividends.
  • FSC status restricted to foreign corps having
    made FSC election before 10/1/2000.

26
Foreign SalesCorporations (FSC) (3 of 3)
  • In July 1999, the World Trade Organization
    determined that FSC export incentive is an
    illegal export subsidy
  • FSC rules replaced with extraterritorial income
    rules
  • WTO considers extraterritorial income rules an
    illegal export subsidy

27
Puerto Rico and U.S. Possessions Corporations
  • Some corps operated in Puerto Rico or U.S.
    possession prior to 1/1/96 can qualify for tax
    credit that can exempt part or all of their
    non-U.S. income from U.S. taxation
  • A new Puerto Rico Economic Activity Credit
    applies for tax years beginning after 12/31/1995
    and before 1/1/2006

28
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End of Chapter 16
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