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Federal Taxation
Quiz 9: Taxation of International Transactions
Path 4
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Question 21
True/False
Nico lives in California. She was born in Peru but holds a green card. Nico is a nonresident alien (NRA).
Question 22
True/False
An appropriate transfer price is one that considers the risks, assets, and functions of the persons to whom income is assigned.
Question 23
True/False
Kipp, a U.S. shareholder under the CFC provisions, owns 40% of a CFC. If the CFC's Subpart F income for the taxable year is $200,000, Kipp is taxed on receipt of a constructive dividend of $80,000.
Question 24
True/False
ForCo, a subsidiary of a U.S. corporation incorporated in Belgium, manufactures widgets in Belgium and sells the widgets to its 100%-owned subsidiary in Germany. The income from the sale of widgets is not Subpart F foreign base company sales income.
Question 25
True/False
Subpart F income includes portfolio income like dividends and interest.
Question 26
True/False
Winnie, Inc., a U.S. corporation, receives a dividend of $400,000 from a non-CFC foreign corporation. Deemed-paid foreign taxes attributable to the dividend are $120,000. If Winnie elects the FTC, its gross income attributable to this dividend is $400,000.
Question 27
True/False
ForCo, a non-U.S. corporation based in Aldonza, purchases widgets from USCo, Inc., its U.S. parent corporation. The widgets are sold by ForCo to an unrelated foreign corporation in Aldonza. The income from sale of the widgets by ForCo is Subpart F foreign base company sales income.
Question 28
True/False
Carol, a citizen and resident of Adagio, reports gross income that is effectively connected with a U.S. business. No deductions are allowed against this income, and Carol's U.S. tax rate is a flat 30 percent.