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Controlled Foreign Corporation: Neither a Lender, Guarantor, nor Pledgor Be?

By Farrell Fritz P.C. on August 7, 2017
Posted in Federal Tax Issues

Last week, we considered the U.S. taxation of a closely held foreign corporation that owned a minority interest in a partnership that was engaged in business in the U.S. This week, we turn our sights to the U.S. taxation of a domestic corporation that owned foreign corporate subsidiaries.

Policy Underlying the CFC Rules

In…

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