Deck 21: International Tax Environment and Transfer Pricing

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Question
Tax neutrality is determined by three criteria: which of the following doesn't belong?

A)Capital-export neutrality
B)Capital-import neutrality
C)National neutrality
D)Income neutrality
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Question
If a dollar earned by a foreign affiliate is taxed under the same rules as a dollar earned by a domestic affiliate of the MNC,then we have achieved

A)capital-export neutrality.
B)capital-import neutrality.
C)national neutrality.
D)tax equity.
Question
Capital export neutrality

A)is the criterion that an ideal tax should be effective in raising revenue of the government and not have any negative effects on the economic decision-making process of the taxpayer.
B)requires that taxable income is taxed in the same manner by the taxpayer's national tax authority regardless of where in the world it is earned.
C)implies that the tax burden a host country imposes on the foreign subsidiary of the MNC should be the same regardless of which country the MNC is incorporated and the same as that placed on domestic firms.
D)none of the options
Question
An income tax is a direct tax.
Question
The idea that the tax burden a host country imposes on the foreign subsidiary of an MNC should be the same regardless of the country in which the MNC is incorporated and the same as that placed on domestic firms is earned is referred to as

A)capital-export neutrality.
B)capital-import neutrality.
C)national neutrality.
D)none of the options
Question
National neutrality

A)is the criterion that an ideal tax should be effective in raising revenue of the government and not have any negative effects on the economic decision-making process of the taxpayer.
B)requires that taxable income is taxed in the same manner by the taxpayer's national tax authority regardless of where in the world it is earned.
C)implies that the tax burden a host country imposes on the foreign subsidiary of the MNC should be the same regardless of which country the MNC is incorporated and the same as that placed on domestic firms.
D)none of the options
Question
The two main objectives of taxation are

A)tax neutrality and tax equity.
B)complexity and revenue.
C)social engineering and tax equity.
D)progressive taxation and tax neutrality.
Question
Tax neutrality is determined

A)by one criterion.
B)by two criteria.
C)by three criteria.
D)by four criteria.
Question
Capital export neutrality

A)is a goal based on worldwide economic efficiency.
B)is an example of Mercantilism.
C)is based on host country economic efficiency.
D)is based on MNC home country economic efficiency.
Question
The idea that taxable income is taxed in the same manner by the taxpayer's national tax authority regardless of where in the world it is earned is referred to as

A)capital-export neutrality.
B)capital-import neutrality.
C)national neutrality.
D)none of the options
Question
Capital import neutrality

A)is the criterion that an ideal tax should be effective in raising revenue of the government and not have any negative effects on the economic decision-making process of the taxpayer.
B)requires that taxable income is taxed in the same manner by the taxpayer's national tax authority regardless of where in the world it is earned.
C)implies that the tax burden a host country imposes on the foreign subsidiary of the MNC should be the same regardless of which country the MNC is incorporated and the same as that placed on domestic firms.
D)none of the options
Question
The term "capital-import neutrality" refers to

A)the criterion that an ideal tax should be effective in raising revenue for the government and not have any negative effects on the economic decision-making process of the taxpayer.
B)the fact that taxable income is taxed in the same manner by the taxpayer's national tax authority regardless of where in the world it is earned.
C)the criterion that the tax burden a host country imposes on the foreign subsidiary of an MNC should be the same regardless in which country the MNC is incorporated and the same as that placed on domestic firms.
D)the underlying principle that all similarly situated taxpayers should participate in the cost of operating the government according to the same rules.
Question
Implementing capital import neutrality means that

A)a sovereign government follows the taxation policies of foreign tax authorities on the foreign-source income of its resident MNCs.
B)the tax burden a host country imposes on the foreign subsidiary of an MNC should be the same regardless of the country in which the MNC is incorporated.
C)the tax burden a host country imposes on the foreign subsidiary of an MNC should be the same as that placed on domestic firms.
D)all of the options
Question
Tax equity means that

A)similarly situated taxpayers should participate in the cost of operating the government according to the same rules.
B)regardless of the country in which an affiliate of an MNC earns taxable income,the same tax rate and tax due date apply.
C)a dollar earned by a foreign affiliate is taxed under the same rules as a dollar earned by a domestic affiliate of the MNC.
D)all of the options
Question
Tax neutrality

A)has its foundations in the principles of economic efficiency and equity.
B)can be a difficult principle to apply in practice.
C)is determined by three criteria: capital export neutrality,capital import neutrality and national neutrality.
D)all of the options
Question
The idea that an ideal tax should be effective in raising revenue for the government but not have any negative effects on the economic decision-making process of the taxpayer is referred to as

A)capital-export neutrality.
B)capital-import neutrality.
C)national neutrality.
D)none of the options
Question
The organizational form of an MNC can affect the timing of a tax liability.This means

A)the principle of tax equity might be violated.
B)as long as,regardless of the country in which an affiliate of an MNC earns taxable income,the same tax rates apply,then the tax due date doesn't matter.
C)tax timing will even out over a reporting cycle,so there is no big deal here.
D)none of the options
Question
The criteria of tax neutrality: capital export neutrality,capital import neutrality and national neutrality

A)are all consistent with one another.
B)are not always consistent with one another.
C)are all identical with one another.
D)none of the options
Question
The underlying principle of tax equity is that

A)all similarly situated taxpayers should participate in the cost of operating the government according to the same rules.
B)all similarly situated taxpayers should participate in the cost of operating the government on an equal basis.
C)none of the options
Question
The three basic types of taxation are

A)income tax,withholding tax,and value-added tax.
B)income tax,withholding tax,and business tax.
C)withholding tax,value-added tax,and corporate tax.
D)personal tax,corporate tax,and operating tax.
Question
Value-added tax (VAT)is

A)a direct national tax levied on the value added in the production of a good (or service)as it moves through various stages of production.
B)an indirect national tax levied on the value added in the production of a good (or service)as it moves through various stages of production.
C)the equivalent of imposing a national sales tax.
D)an indirect national tax levied on the value added in the production of a good (or service)as it moves through various stages of production,and is also the equivalent of imposing a national sales tax.
Question
Assume that a product has the following three stages of production:  Production Stage  Selling Price 1100225031,50C\begin{array}{ccc}\text { Production Stage } & \text { Selling Price } \\1 & € & 100 \\2 & € & 250 \\3 & € & 1,50 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 15 percent,what would be the VAT over all stages of production?

A)€90
B)€120
C)€465
D)€225
Question
Assume that a product has the following three stages of production:  Production Stage  Selling Price 160021,40C31,70C\begin{array}{ccc}\text { Production Stage } & \text { Selling Price } \\1 & € & 600 \\2 & € 1,40 \mathrm{C} \\3 & € 1,70 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 15 percent,what is the incremental VAT at Stage 2 of production?

A)€75
B)€120
C)€210
D)€255
Question
The purpose of a withholding tax

A)is to assure the local tax authority that it will receive the tax due on the active income earned within its tax jurisdiction.
B)is to assure the local tax authority that it will receive the tax due on the passive income earned within its tax jurisdiction.
C)is to assure the local tax authority that it will receive the tax due on all income earned within its tax jurisdiction.
D)none of the options
Question
Which statement is false?

A)Active income is defined as income that results from production by the firm or individual or from services that have been provided.
B)Passive income includes dividends and interest income,and income from royalties,patents,or copyrights paid to the taxpayer.
C)A withholding tax is a tax levied on passive income earned by an individual or corporation of one country within the tax jurisdiction of another country.
D)The current marginal U.S.income tax rate is positioned towards the lower end of the rates assessed by the majority of other countries.
Question
Assume that a product has the following three stages of production:  Production Stage  Selling Price 110C2250375C\begin{array}{cc}\text { Production Stage } & \text { Selling Price } \\1 & € 10 \mathrm{C} \\2 & € 250 \\3 & € 75 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 25 percent,what would be the VAT over all stages of production?

A)€187.50
B)€120
C)€150
D)€225
Question
Assume that a product has the following three stages of production:  Production Stage  Selling Price 180216C336C\begin{array}{cc}\text { Production Stage } & \text { Selling Price } \\1 & € 80 \\2 & € 16 \mathrm{C} \\3 & € 36 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 10 percent,what would be the VAT over all stages of production?

A)€64
B)€36
C)€465
D)€225
Question
A withholding tax

A)is borne by a taxpayer who did not directly generate the income that serves as the source of the passive income.
B)is a direct tax on workers.
C)assures the local tax authority that it will receive the tax due on the passive income earned within its tax jurisdiction.
D)is borne by a taxpayer who did not directly generate the income that serves as the source of the passive income,and also assures the local tax authority that it will receive the tax due on the passive income earned within its tax jurisdiction.
Question
Assume that a product has the following three stages of production:  Production Stage  Selling Price 110C2250375C\begin{array}{cc}\text { Production Stage } & \text { Selling Price } \\1 & € 10 \mathrm{C} \\2 & € 250 \\3 & € 75 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 20 percent,what would be the VAT over all stages of production?

A)€110
B)€120
C)€150
D)€225
Question
The current marginal U.S.income tax rate is positioned

A)pretty well in the middle of the rates assessed by the majority of other countries.
B)towards the upper end of the rates assessed by the majority of other countries.
C)towards the lower end of the rates assessed by the majority of other countries.
D)none of the options
Question
Assume that a product has the following three stages of production:  Production Stage  Selling Price 110225031,50C\begin{array}{ccc}\text { Production Stage } & \text { Selling Price } \\1 & € 10 \\2 & € 250 \\3 & € 1,50 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 20 percent,what would be the VAT over all stages of production?

A)€90
B)€120
C)€300
D)€225
Question
The United States withholds ________ of passive income from taxpayers that reside in countries with which it does not have withholding tax treaties.

A)10 percent
B)20 percent
C)30 percent
D)40 percent
Question
An income tax is defined in your textbook as

A)a direct tax.
B)an indirect tax.
C)being collected with a withholding tax.
D)none of the options
Question
Assume that a product has the following three stages of production:  Production Stage  Selling Price 180216C332C\begin{array}{cc}\text { Production Stage } & \text { Selling Price } \\1 & € 80 \\2 & € 16 \mathrm{C} \\3 & € 32 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 20 percent,what would be the VAT over all stages of production?

A)€64
B)€120
C)€465
D)€225
Question
Many countries have tax treaties with one another.These generally specify

A)the withholding tax rate applied to various types of passive income.
B)that withholding tax rates imposed through tax treaties are bilateral.
C)the two countries agree to impose the same tax rate on the same category of income.
D)all of the options
Question
A withholding tax is

A)an indirect tax.
B)a direct tax.
C)both a direct and an indirect tax.
D)none of the options
Question
A withholding tax is defined in your textbook as

A)the money that the government takes for every worker's paycheck.
B)social security taxes.
C)a tax levied on income earned by an individual (or corporation)of one country within the tax jurisdiction of another county.
D)a tax levied on passive income earned by an individual (or corporation)of one country within the tax jurisdiction of another county.
Question
There are three basic types of taxation that national governments throughout the world use:

A)income tax,withholding tax,and value-added tax.
B)property tax,wealth tax,and death tax.
C)import quotas,duties,and tariffs.
D)tariffs,ad valorem taxes,and income taxes.
Question
Withholding tax rates imposed through tax treaties are

A)bilateral.
B)multilateral.
C)netted.
D)none of the options
Question
Assume that a product has the following three stages of production:  Production Stage  Selling Price 160021,40C31,70C\begin{array}{ccc}\text { Production Stage } & \text { Selling Price } \\1 & € 600 \\2 & € 1,40 \mathrm{C} \\3 & € 1,70 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 15 percent,what would be the VAT over all stages of production?

A)€90
B)€120
C)€465
D)€255
Question
A direct foreign tax credit is

A)computed for direct taxes paid on active foreign-source income of a foreign branch of a U.S.MNC.
B)computed on the indirect withholding taxes withheld form passive income distributed by the foreign subsidiary to the U.S.parent.
C)computed for income taxes deemed paid by the subsidiary.
D)computed for direct taxes paid on active foreign-source income of a foreign branch of a U.S.MNC,and is also computed on the indirect withholding taxes withheld form passive income distributed by the foreign subsidiary to the U.S.parent.
Question
Tax evasion is more difficult under a VAT because

A)at each stage in the production process producers have an incentive to obtain documentation from the previous stage that the VAT was paid in order to get the greatest tax credit possible.
B)customers can't convince retailers to sell things without a receipt.
C)the cost of record keeping under a VAT system imposes an economic hardship on small businesses.
D)none of the options
Question
The typical approach to avoiding double taxation is

A)for a nation to grant the parent firm credit against its domestic tax liability for taxes paid to foreign tax authorities on foreign-source income.
B)for a nation not to tax foreign-source income of its national residents.
C)for a company to use both worldwide and the territorial methods.
D)none of the options
Question
In a given year,the U.S.IRS places an overall limitation applied to foreign tax credits.

A)The overall limitation is limited to the amount of tax due on the foreign-source income.
B)The overall limitation is limited to the amount of tax actually paid during the tax year on the foreign-source income.
C)The overall limitation is limited to the amount of tax that would have been due on the foreign-source income if it had been earned in the United States.
D)none of the options
Question
A value-added tax (VAT)is ________ national tax levied on the value added in the production of a good (or service)as it moves through the various stages of production.

A)a direct
B)an indirect
C)a sales tax
D)none of the options
Question
The territorial method of declaring a national tax jurisdiction is to

A)tax all income earned within the country by any taxpayer,domestic or foreign.
B)tax national residents of the country on their worldwide income no matter in which country it is earned.
C)also known as the residential method.
D)none of the options
Question
Which of the following are true?

A)A VAT fosters national saving.
B)An income tax is a disincentive to save because the returns from savings are taxed.
C)National tax authorities find that a VAT is easier to collect than an income tax because tax evasion is more difficult.
D)All of the options are true.
Question
Affiliates of foreign MNCs are taxed on the income earned in the source country under

A)the territorial method of declaring a national tax jurisdiction.
B)the source method of declaring a tax jurisdiction.
C)all of the options
D)none of the options
Question
The worldwide method of declaring a national tax jurisdiction

A)is to tax national residents of the country on their worldwide income no matter in which country it is earned.
B)is to tax all income earned within the country by any taxpayer,domestic or foreign.
C)is to tax national residents of the country on their domestic income but not foreign-earned income.
D)none of the options
Question
Assume that a product has the following three stages of production:  Production Stage  Selling Price 11,00C22,00033,000\begin{array}{cc}\text { Production Stage } & \text { Selling Price } \\1 & € 1,00 \mathrm{C} \\2 & € 2,000 \\3 & € 3,000\end{array} If the value-added tax (VAT)rate is 20 percent,what would be the VAT over all stages of production?

A)€150
B)€600
C)€350
D)€225
Question
Many economists prefer a VAT to an income tax because

A)these economists are pin heads with no real world experience.
B)an income tax provides a disincentive to work,whereas a VAT is a disincentive to unnecessary consumption.
C)an income tax is an incentive to work,whereas a VAT is a disincentive to consumption.
D)all of the options
Question
Fundamentally,there are two types of tax jurisdiction.

A)The worldwide and the territorial
B)The residential and the visiting
C)The passive and the active income
D)The earned and the unearned
Question
The foreign tax credit method followed by the United States is

A)to grant the parent firm credit against its U.S.tax liability for taxes paid to foreign tax authorities on foreign-source income.
B)in place for the purpose of avoiding double taxation.
C)to grant the parent firm credit against its U.S.tax liability for taxes paid to foreign tax authorities on foreign-source income,and is in place for the purpose of avoiding double taxation.
D)none of the options
Question
Assume that a product has the following three stages of production:  Production Stage  Selling Price 180C2960315,00C\begin{array}{ccr}\text { Production Stage } & \text { Selling Price } \\1 & € 80 \mathrm{C} \\2 & € 960 \\3 & € 15,00 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 20 percent,what would be the VAT over all stages of production?

A)€64
B)€120
C)€2,808
D)€3,000
Question
Assume that a product has the following three stages of production:  Production Stage  Selling Price 11,00C22,00033,000\begin{array}{cc}\text { Production Stage } & \text { Selling Price } \\1 & € 1,00 \mathrm{C} \\2 & € 2,000 \\3 & € 3,000\end{array} If the value-added tax (VAT)rate is 15 percent,what would be the VAT over all stages of production?

A)€390
B)€120
C)€450
D)€225
Question
Under the territorial method of declaring a national tax jurisdiction

A)the possibility of double taxation exists if the parent county of a foreign affiliate also levies a tax on worldwide income.
B)tax is levied on all income earned within the country by any taxpayer,domestic or foreign.
C)tax is levied on foreign residents of the country on their home-country income but not foreign-earned income.
D)none of the options
Question
In a given year,the U.S.IRS places an overall limitation applied to foreign tax credits.

A)the maximum tax credit is figured on world-wide foreign-source income; losses in one country can offset profits in another.
B)the maximum tax credit is figured on foreign-source income in each country; losses in one country cannot offset profits in another.
C)the overall limitation is limited to the amount of tax that would be due on the foreign-source income if it had been earned in the United States.
D)the maximum tax credit is figured on world-wide foreign-source income; losses in one country can offset profits in another,and the overall limitation is limited to the amount of tax that would be due on the foreign-source income if it had been earned in the United States.
Question
In a growing economy,the VAT would raise prodigious amounts of money

A)in a way almost invisible to tax-paying voters.
B)in a way obvious to tax-paying voters.
C)but would discourage savings.
D)none of the options
Question
In a given year,the U.S.IRS places an overall limitation applied to foreign tax credits.

A)The maximum tax credit is figured on world-wide foreign-source income; losses in one country can offset profits in another.
B)Value-added taxes paid cannot be included in determining the amount of the foreign tax credit.
C)The overall limitation is limited to the amount of tax that would be due on the foreign-source income if it had been earned in the United States.
D)all of the options
Question
The worldwide method of declaring a national tax jurisdiction

A)is also known as the residential method.
B)is to tax national residents of the country on their worldwide income no matter in which country it is earned.
C)is different from the territorial method of declaring a national tax jurisdiction.
D)all of the options
Question
An uncontrolled foreign corporation is

A)an extension of the parent and is not an independently incorporated firm separate from the parent.
B)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 51 percent of the voting equity stock.
C)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 10 percent but less than 50 percent of the voting equity stock.
D)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 51 percent of the voting equity stock.In addition,an uncontrolled foreign corporation is an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 10 percent but less than 50 percent of the voting equity stock.
Question
A controlled foreign corporation (CFC)is

A)a foreign corporation established as an affiliate of a U.S.corporation for the purpose of "buying" from the U.S.corporation property for resale and use abroad.
B)a foreign subsidiary that has more than 50 percent of its voting equity owned by U.S.shareholders.
C)a separate domestic U.S.corporation actively engaged in business in a U.S.possession (Puerto Rico and the U.S.Virgin Islands).
D)one that has no "overall limitation" in regards to its foreign tax credits.
Question
The higher the transfer price

A)the higher the net profit reported by the MNC.
B)the higher the gross profit of the receiving division relative to the transferring division.
C)the higher the gross profit of the transferring division relative to the receiving division.
D)none of the options
Question
Affiliate A sells a million units to Affiliate B per year.The marginal income tax rate for Affiliate A is 20 percent and the marginal income tax rate for Affiliate B is 50 percent.The transfer price can be set at any level between $100 and $200.Which transfer price between A and B should the parent select?

A)$200
B)$100
C)$150
D)none of the options
Question
The lower the transfer price,

A)the higher the net profit reported by the MNC.
B)the lower the gross profit of the transferring division relative to the receiving division.
C)the higher the gross profit of the receiving division relative to the transferring division.
D)none of the options
Question
Suppose a U.S.-based MNC makes bicycles with parts from its subsidiary in a low-tax East Asian country.The bicycle frames are made here,the component parts (cranksets,wheels,and so on)are made abroad,and the bicycles are assembled in Japan and reimported to the U.S.It can reduce its reported U.S.income-and increase its subsidiary's profits-by

A)overcharging its subsidiaries for the U.S.-made frames.
B)undercharging its subsidiaries for the U.S.-made frames.
C)assembling the bicycles in the U.S.
D)none of the options
Question
A "tax haven" country is one that has a low,or zero percent,national tax rates.Some of the countries that fall into this category are

A)Bahamas,Bahrain,Bermuda,and the Cayman Islands.
B)Denmark,Norway,Switzerland,and Sweden.
C)Bulgaria,Canada,Saudi Arabia,and South Africa.
D)Congo,Egypt,Kuwait,and Zaire.
Question
As a rule,payments to and from foreign affiliates

A)involve the issue of transfer pricing.
B)involve accounting values assigned to goods or services exchanged between foreign affiliates.
C)involve tax credits trading between affiliates.
D)involve the issue of transfer pricing,as well as accounting values assigned to goods or services exchanged between foreign affiliates.
Question
As a general rule,

A)excess tax credits can be carried back two years.
B)excess tax credits can be carried forward five years.
C)excess tax credits must be used in the year recognized.
D)excess tax credits can be carried back two years and can be carried forward five years.
Question
There are three production stages required before a bicycle produced by MasiBicicletia S.A.can be sold at retail for €4,500.The VAT rate is 15 percent.Find the total tax liability due.  Production Stage  Bellirig Price  Value Added  Irncrernertal VAT 11,00022,7503,500\begin{array} { c c c } \text { Production Stage } & \text { Bellirig Price } & \text { Value Added }& \text { Irncrernertal VAT } \\1& € 1,000 & \\2 & € 2,750 & \\3 & € , 500 &\end{array}

A)€525
B)€675
C)€3,500
D)none of the options
Question
An overseas affiliate of a U.S.MNC can be organized

A)as a branch.
B)as a subsidiary.
C)as a branch,as well as a subsidiary.
D)none of the options
Question
A foreign branch is

A)an extension of the parent and is not an independently incorporated firm separate from the parent.
B)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 10 percent of the voting equity stock.
C)either a minority foreign subsidiary (an uncontrolled foreign corporation)or a controlled foreign corporation.
D)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 10 percent of the voting equity stock.In addition,a foreign branch is either a minority foreign subsidiary (an uncontrolled foreign corporation)or a controlled foreign corporation.
Question
A transfer price

A)is the price that one division of a firm charges to another division of a firm.
B)is an accounting issue,not a finance issue.
C)does not involve actual cash flows,therefore does not impact the share price.
D)none of the options
Question
When excess tax credits go unused,the foreign tax liability for a branch is greater than the corresponding U.S.tax liability when the foreign income tax rate is greater than the U.S.rate.Calculate the total tax liability for a wholly-owned subsidiary when excess tax credits cannot be used in a country given: 35% 35 \% U.S. tax rate
41% 41 \% Foreign tax rate
4% 4\% Withholding tax rate

A)35.00 percent
B)37.00 percent
C)43.36 percent
D)42.05 percent
Question
These days the benefits of "tax haven" subsidiaries have been reduced by

A)the present corporate income tax rate in the United States is not especially high in comparison to most non-tax haven countries.
B)the rules governing controlled foreign corporations have effectively eliminated the ability to defer passive income in a tax haven subsidiary.
C)all of the options
D)none of the options
Question
Countries differ in how they tax foreign-source income of their domestic MNCs.

A)Therefore,different forms of structuring a multinational organization within a country can result in different tax liabilities for the firm.
B)However,due to tax treaties and foreign tax credits,this is not an issue for a U.S.-based MNC.
C)But all countries tax domestic income of their domestic MNCs in the same way.
D)all of the options
Question
A foreign subsidiary is

A)an extension of the parent and is not an independently incorporated firm separate from the parent.
B)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 10 percent of the voting equity stock.
C)either a minority foreign subsidiary (an uncontrolled foreign corporation)or a controlled foreign corporation.
D)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 10 percent of the voting equity stock.In addition,a foreign subsidiary is either a minority foreign subsidiary (an uncontrolled foreign corporation)or a controlled foreign corporation.
Question
The undistributed income of a minority foreign subsidiary of a U.S.MNC

A)is tax deferred until it is remitted via a dividend.
B)is taxed as imputed income.
C)is withheld under subpart U.S.income restrictions.
D)none of the options
Question
When excess tax credits go unused,the foreign tax liability for a branch is greater than the corresponding U.S.tax liability when the foreign income tax rate is greater than the U.S.rate.Calculate the total tax liability for a wholly-owned subsidiary when excess tax credits cannot be used in a country given: U.S.tax rate = 35 percent
Foreign tax rate = 39 percent
Withholding tax rate = 5 percent

A)44.00 percent
B)35.00 percent
C)43.36 percent
D)42.05 percent
Question
The U.S.IRS allows transfer prices to be set using the arms-length price.

A)This is a very straight-forward method to use in practice-just use the eBay price.
B)This method is difficult to apply in practice because many factors enter into the pricing of goods and services.Examples include: differences in the terms of sale,differences in quantity and or quality sold,even differences in location or date of sale.
C)all of the options
D)none of the options
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Deck 21: International Tax Environment and Transfer Pricing
1
Tax neutrality is determined by three criteria: which of the following doesn't belong?

A)Capital-export neutrality
B)Capital-import neutrality
C)National neutrality
D)Income neutrality
D
2
If a dollar earned by a foreign affiliate is taxed under the same rules as a dollar earned by a domestic affiliate of the MNC,then we have achieved

A)capital-export neutrality.
B)capital-import neutrality.
C)national neutrality.
D)tax equity.
D
3
Capital export neutrality

A)is the criterion that an ideal tax should be effective in raising revenue of the government and not have any negative effects on the economic decision-making process of the taxpayer.
B)requires that taxable income is taxed in the same manner by the taxpayer's national tax authority regardless of where in the world it is earned.
C)implies that the tax burden a host country imposes on the foreign subsidiary of the MNC should be the same regardless of which country the MNC is incorporated and the same as that placed on domestic firms.
D)none of the options
A
4
An income tax is a direct tax.
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5
The idea that the tax burden a host country imposes on the foreign subsidiary of an MNC should be the same regardless of the country in which the MNC is incorporated and the same as that placed on domestic firms is earned is referred to as

A)capital-export neutrality.
B)capital-import neutrality.
C)national neutrality.
D)none of the options
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6
National neutrality

A)is the criterion that an ideal tax should be effective in raising revenue of the government and not have any negative effects on the economic decision-making process of the taxpayer.
B)requires that taxable income is taxed in the same manner by the taxpayer's national tax authority regardless of where in the world it is earned.
C)implies that the tax burden a host country imposes on the foreign subsidiary of the MNC should be the same regardless of which country the MNC is incorporated and the same as that placed on domestic firms.
D)none of the options
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7
The two main objectives of taxation are

A)tax neutrality and tax equity.
B)complexity and revenue.
C)social engineering and tax equity.
D)progressive taxation and tax neutrality.
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8
Tax neutrality is determined

A)by one criterion.
B)by two criteria.
C)by three criteria.
D)by four criteria.
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9
Capital export neutrality

A)is a goal based on worldwide economic efficiency.
B)is an example of Mercantilism.
C)is based on host country economic efficiency.
D)is based on MNC home country economic efficiency.
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10
The idea that taxable income is taxed in the same manner by the taxpayer's national tax authority regardless of where in the world it is earned is referred to as

A)capital-export neutrality.
B)capital-import neutrality.
C)national neutrality.
D)none of the options
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11
Capital import neutrality

A)is the criterion that an ideal tax should be effective in raising revenue of the government and not have any negative effects on the economic decision-making process of the taxpayer.
B)requires that taxable income is taxed in the same manner by the taxpayer's national tax authority regardless of where in the world it is earned.
C)implies that the tax burden a host country imposes on the foreign subsidiary of the MNC should be the same regardless of which country the MNC is incorporated and the same as that placed on domestic firms.
D)none of the options
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12
The term "capital-import neutrality" refers to

A)the criterion that an ideal tax should be effective in raising revenue for the government and not have any negative effects on the economic decision-making process of the taxpayer.
B)the fact that taxable income is taxed in the same manner by the taxpayer's national tax authority regardless of where in the world it is earned.
C)the criterion that the tax burden a host country imposes on the foreign subsidiary of an MNC should be the same regardless in which country the MNC is incorporated and the same as that placed on domestic firms.
D)the underlying principle that all similarly situated taxpayers should participate in the cost of operating the government according to the same rules.
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13
Implementing capital import neutrality means that

A)a sovereign government follows the taxation policies of foreign tax authorities on the foreign-source income of its resident MNCs.
B)the tax burden a host country imposes on the foreign subsidiary of an MNC should be the same regardless of the country in which the MNC is incorporated.
C)the tax burden a host country imposes on the foreign subsidiary of an MNC should be the same as that placed on domestic firms.
D)all of the options
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14
Tax equity means that

A)similarly situated taxpayers should participate in the cost of operating the government according to the same rules.
B)regardless of the country in which an affiliate of an MNC earns taxable income,the same tax rate and tax due date apply.
C)a dollar earned by a foreign affiliate is taxed under the same rules as a dollar earned by a domestic affiliate of the MNC.
D)all of the options
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15
Tax neutrality

A)has its foundations in the principles of economic efficiency and equity.
B)can be a difficult principle to apply in practice.
C)is determined by three criteria: capital export neutrality,capital import neutrality and national neutrality.
D)all of the options
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16
The idea that an ideal tax should be effective in raising revenue for the government but not have any negative effects on the economic decision-making process of the taxpayer is referred to as

A)capital-export neutrality.
B)capital-import neutrality.
C)national neutrality.
D)none of the options
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17
The organizational form of an MNC can affect the timing of a tax liability.This means

A)the principle of tax equity might be violated.
B)as long as,regardless of the country in which an affiliate of an MNC earns taxable income,the same tax rates apply,then the tax due date doesn't matter.
C)tax timing will even out over a reporting cycle,so there is no big deal here.
D)none of the options
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18
The criteria of tax neutrality: capital export neutrality,capital import neutrality and national neutrality

A)are all consistent with one another.
B)are not always consistent with one another.
C)are all identical with one another.
D)none of the options
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19
The underlying principle of tax equity is that

A)all similarly situated taxpayers should participate in the cost of operating the government according to the same rules.
B)all similarly situated taxpayers should participate in the cost of operating the government on an equal basis.
C)none of the options
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20
The three basic types of taxation are

A)income tax,withholding tax,and value-added tax.
B)income tax,withholding tax,and business tax.
C)withholding tax,value-added tax,and corporate tax.
D)personal tax,corporate tax,and operating tax.
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21
Value-added tax (VAT)is

A)a direct national tax levied on the value added in the production of a good (or service)as it moves through various stages of production.
B)an indirect national tax levied on the value added in the production of a good (or service)as it moves through various stages of production.
C)the equivalent of imposing a national sales tax.
D)an indirect national tax levied on the value added in the production of a good (or service)as it moves through various stages of production,and is also the equivalent of imposing a national sales tax.
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22
Assume that a product has the following three stages of production:  Production Stage  Selling Price 1100225031,50C\begin{array}{ccc}\text { Production Stage } & \text { Selling Price } \\1 & € & 100 \\2 & € & 250 \\3 & € & 1,50 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 15 percent,what would be the VAT over all stages of production?

A)€90
B)€120
C)€465
D)€225
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23
Assume that a product has the following three stages of production:  Production Stage  Selling Price 160021,40C31,70C\begin{array}{ccc}\text { Production Stage } & \text { Selling Price } \\1 & € & 600 \\2 & € 1,40 \mathrm{C} \\3 & € 1,70 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 15 percent,what is the incremental VAT at Stage 2 of production?

A)€75
B)€120
C)€210
D)€255
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24
The purpose of a withholding tax

A)is to assure the local tax authority that it will receive the tax due on the active income earned within its tax jurisdiction.
B)is to assure the local tax authority that it will receive the tax due on the passive income earned within its tax jurisdiction.
C)is to assure the local tax authority that it will receive the tax due on all income earned within its tax jurisdiction.
D)none of the options
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25
Which statement is false?

A)Active income is defined as income that results from production by the firm or individual or from services that have been provided.
B)Passive income includes dividends and interest income,and income from royalties,patents,or copyrights paid to the taxpayer.
C)A withholding tax is a tax levied on passive income earned by an individual or corporation of one country within the tax jurisdiction of another country.
D)The current marginal U.S.income tax rate is positioned towards the lower end of the rates assessed by the majority of other countries.
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26
Assume that a product has the following three stages of production:  Production Stage  Selling Price 110C2250375C\begin{array}{cc}\text { Production Stage } & \text { Selling Price } \\1 & € 10 \mathrm{C} \\2 & € 250 \\3 & € 75 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 25 percent,what would be the VAT over all stages of production?

A)€187.50
B)€120
C)€150
D)€225
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27
Assume that a product has the following three stages of production:  Production Stage  Selling Price 180216C336C\begin{array}{cc}\text { Production Stage } & \text { Selling Price } \\1 & € 80 \\2 & € 16 \mathrm{C} \\3 & € 36 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 10 percent,what would be the VAT over all stages of production?

A)€64
B)€36
C)€465
D)€225
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28
A withholding tax

A)is borne by a taxpayer who did not directly generate the income that serves as the source of the passive income.
B)is a direct tax on workers.
C)assures the local tax authority that it will receive the tax due on the passive income earned within its tax jurisdiction.
D)is borne by a taxpayer who did not directly generate the income that serves as the source of the passive income,and also assures the local tax authority that it will receive the tax due on the passive income earned within its tax jurisdiction.
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29
Assume that a product has the following three stages of production:  Production Stage  Selling Price 110C2250375C\begin{array}{cc}\text { Production Stage } & \text { Selling Price } \\1 & € 10 \mathrm{C} \\2 & € 250 \\3 & € 75 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 20 percent,what would be the VAT over all stages of production?

A)€110
B)€120
C)€150
D)€225
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30
The current marginal U.S.income tax rate is positioned

A)pretty well in the middle of the rates assessed by the majority of other countries.
B)towards the upper end of the rates assessed by the majority of other countries.
C)towards the lower end of the rates assessed by the majority of other countries.
D)none of the options
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31
Assume that a product has the following three stages of production:  Production Stage  Selling Price 110225031,50C\begin{array}{ccc}\text { Production Stage } & \text { Selling Price } \\1 & € 10 \\2 & € 250 \\3 & € 1,50 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 20 percent,what would be the VAT over all stages of production?

A)€90
B)€120
C)€300
D)€225
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32
The United States withholds ________ of passive income from taxpayers that reside in countries with which it does not have withholding tax treaties.

A)10 percent
B)20 percent
C)30 percent
D)40 percent
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33
An income tax is defined in your textbook as

A)a direct tax.
B)an indirect tax.
C)being collected with a withholding tax.
D)none of the options
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34
Assume that a product has the following three stages of production:  Production Stage  Selling Price 180216C332C\begin{array}{cc}\text { Production Stage } & \text { Selling Price } \\1 & € 80 \\2 & € 16 \mathrm{C} \\3 & € 32 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 20 percent,what would be the VAT over all stages of production?

A)€64
B)€120
C)€465
D)€225
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35
Many countries have tax treaties with one another.These generally specify

A)the withholding tax rate applied to various types of passive income.
B)that withholding tax rates imposed through tax treaties are bilateral.
C)the two countries agree to impose the same tax rate on the same category of income.
D)all of the options
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36
A withholding tax is

A)an indirect tax.
B)a direct tax.
C)both a direct and an indirect tax.
D)none of the options
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37
A withholding tax is defined in your textbook as

A)the money that the government takes for every worker's paycheck.
B)social security taxes.
C)a tax levied on income earned by an individual (or corporation)of one country within the tax jurisdiction of another county.
D)a tax levied on passive income earned by an individual (or corporation)of one country within the tax jurisdiction of another county.
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38
There are three basic types of taxation that national governments throughout the world use:

A)income tax,withholding tax,and value-added tax.
B)property tax,wealth tax,and death tax.
C)import quotas,duties,and tariffs.
D)tariffs,ad valorem taxes,and income taxes.
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39
Withholding tax rates imposed through tax treaties are

A)bilateral.
B)multilateral.
C)netted.
D)none of the options
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40
Assume that a product has the following three stages of production:  Production Stage  Selling Price 160021,40C31,70C\begin{array}{ccc}\text { Production Stage } & \text { Selling Price } \\1 & € 600 \\2 & € 1,40 \mathrm{C} \\3 & € 1,70 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 15 percent,what would be the VAT over all stages of production?

A)€90
B)€120
C)€465
D)€255
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41
A direct foreign tax credit is

A)computed for direct taxes paid on active foreign-source income of a foreign branch of a U.S.MNC.
B)computed on the indirect withholding taxes withheld form passive income distributed by the foreign subsidiary to the U.S.parent.
C)computed for income taxes deemed paid by the subsidiary.
D)computed for direct taxes paid on active foreign-source income of a foreign branch of a U.S.MNC,and is also computed on the indirect withholding taxes withheld form passive income distributed by the foreign subsidiary to the U.S.parent.
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42
Tax evasion is more difficult under a VAT because

A)at each stage in the production process producers have an incentive to obtain documentation from the previous stage that the VAT was paid in order to get the greatest tax credit possible.
B)customers can't convince retailers to sell things without a receipt.
C)the cost of record keeping under a VAT system imposes an economic hardship on small businesses.
D)none of the options
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43
The typical approach to avoiding double taxation is

A)for a nation to grant the parent firm credit against its domestic tax liability for taxes paid to foreign tax authorities on foreign-source income.
B)for a nation not to tax foreign-source income of its national residents.
C)for a company to use both worldwide and the territorial methods.
D)none of the options
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44
In a given year,the U.S.IRS places an overall limitation applied to foreign tax credits.

A)The overall limitation is limited to the amount of tax due on the foreign-source income.
B)The overall limitation is limited to the amount of tax actually paid during the tax year on the foreign-source income.
C)The overall limitation is limited to the amount of tax that would have been due on the foreign-source income if it had been earned in the United States.
D)none of the options
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45
A value-added tax (VAT)is ________ national tax levied on the value added in the production of a good (or service)as it moves through the various stages of production.

A)a direct
B)an indirect
C)a sales tax
D)none of the options
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46
The territorial method of declaring a national tax jurisdiction is to

A)tax all income earned within the country by any taxpayer,domestic or foreign.
B)tax national residents of the country on their worldwide income no matter in which country it is earned.
C)also known as the residential method.
D)none of the options
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47
Which of the following are true?

A)A VAT fosters national saving.
B)An income tax is a disincentive to save because the returns from savings are taxed.
C)National tax authorities find that a VAT is easier to collect than an income tax because tax evasion is more difficult.
D)All of the options are true.
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48
Affiliates of foreign MNCs are taxed on the income earned in the source country under

A)the territorial method of declaring a national tax jurisdiction.
B)the source method of declaring a tax jurisdiction.
C)all of the options
D)none of the options
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49
The worldwide method of declaring a national tax jurisdiction

A)is to tax national residents of the country on their worldwide income no matter in which country it is earned.
B)is to tax all income earned within the country by any taxpayer,domestic or foreign.
C)is to tax national residents of the country on their domestic income but not foreign-earned income.
D)none of the options
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50
Assume that a product has the following three stages of production:  Production Stage  Selling Price 11,00C22,00033,000\begin{array}{cc}\text { Production Stage } & \text { Selling Price } \\1 & € 1,00 \mathrm{C} \\2 & € 2,000 \\3 & € 3,000\end{array} If the value-added tax (VAT)rate is 20 percent,what would be the VAT over all stages of production?

A)€150
B)€600
C)€350
D)€225
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51
Many economists prefer a VAT to an income tax because

A)these economists are pin heads with no real world experience.
B)an income tax provides a disincentive to work,whereas a VAT is a disincentive to unnecessary consumption.
C)an income tax is an incentive to work,whereas a VAT is a disincentive to consumption.
D)all of the options
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52
Fundamentally,there are two types of tax jurisdiction.

A)The worldwide and the territorial
B)The residential and the visiting
C)The passive and the active income
D)The earned and the unearned
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53
The foreign tax credit method followed by the United States is

A)to grant the parent firm credit against its U.S.tax liability for taxes paid to foreign tax authorities on foreign-source income.
B)in place for the purpose of avoiding double taxation.
C)to grant the parent firm credit against its U.S.tax liability for taxes paid to foreign tax authorities on foreign-source income,and is in place for the purpose of avoiding double taxation.
D)none of the options
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54
Assume that a product has the following three stages of production:  Production Stage  Selling Price 180C2960315,00C\begin{array}{ccr}\text { Production Stage } & \text { Selling Price } \\1 & € 80 \mathrm{C} \\2 & € 960 \\3 & € 15,00 \mathrm{C}\end{array} If the value-added tax (VAT)rate is 20 percent,what would be the VAT over all stages of production?

A)€64
B)€120
C)€2,808
D)€3,000
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55
Assume that a product has the following three stages of production:  Production Stage  Selling Price 11,00C22,00033,000\begin{array}{cc}\text { Production Stage } & \text { Selling Price } \\1 & € 1,00 \mathrm{C} \\2 & € 2,000 \\3 & € 3,000\end{array} If the value-added tax (VAT)rate is 15 percent,what would be the VAT over all stages of production?

A)€390
B)€120
C)€450
D)€225
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56
Under the territorial method of declaring a national tax jurisdiction

A)the possibility of double taxation exists if the parent county of a foreign affiliate also levies a tax on worldwide income.
B)tax is levied on all income earned within the country by any taxpayer,domestic or foreign.
C)tax is levied on foreign residents of the country on their home-country income but not foreign-earned income.
D)none of the options
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57
In a given year,the U.S.IRS places an overall limitation applied to foreign tax credits.

A)the maximum tax credit is figured on world-wide foreign-source income; losses in one country can offset profits in another.
B)the maximum tax credit is figured on foreign-source income in each country; losses in one country cannot offset profits in another.
C)the overall limitation is limited to the amount of tax that would be due on the foreign-source income if it had been earned in the United States.
D)the maximum tax credit is figured on world-wide foreign-source income; losses in one country can offset profits in another,and the overall limitation is limited to the amount of tax that would be due on the foreign-source income if it had been earned in the United States.
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58
In a growing economy,the VAT would raise prodigious amounts of money

A)in a way almost invisible to tax-paying voters.
B)in a way obvious to tax-paying voters.
C)but would discourage savings.
D)none of the options
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59
In a given year,the U.S.IRS places an overall limitation applied to foreign tax credits.

A)The maximum tax credit is figured on world-wide foreign-source income; losses in one country can offset profits in another.
B)Value-added taxes paid cannot be included in determining the amount of the foreign tax credit.
C)The overall limitation is limited to the amount of tax that would be due on the foreign-source income if it had been earned in the United States.
D)all of the options
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60
The worldwide method of declaring a national tax jurisdiction

A)is also known as the residential method.
B)is to tax national residents of the country on their worldwide income no matter in which country it is earned.
C)is different from the territorial method of declaring a national tax jurisdiction.
D)all of the options
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61
An uncontrolled foreign corporation is

A)an extension of the parent and is not an independently incorporated firm separate from the parent.
B)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 51 percent of the voting equity stock.
C)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 10 percent but less than 50 percent of the voting equity stock.
D)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 51 percent of the voting equity stock.In addition,an uncontrolled foreign corporation is an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 10 percent but less than 50 percent of the voting equity stock.
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62
A controlled foreign corporation (CFC)is

A)a foreign corporation established as an affiliate of a U.S.corporation for the purpose of "buying" from the U.S.corporation property for resale and use abroad.
B)a foreign subsidiary that has more than 50 percent of its voting equity owned by U.S.shareholders.
C)a separate domestic U.S.corporation actively engaged in business in a U.S.possession (Puerto Rico and the U.S.Virgin Islands).
D)one that has no "overall limitation" in regards to its foreign tax credits.
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63
The higher the transfer price

A)the higher the net profit reported by the MNC.
B)the higher the gross profit of the receiving division relative to the transferring division.
C)the higher the gross profit of the transferring division relative to the receiving division.
D)none of the options
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64
Affiliate A sells a million units to Affiliate B per year.The marginal income tax rate for Affiliate A is 20 percent and the marginal income tax rate for Affiliate B is 50 percent.The transfer price can be set at any level between $100 and $200.Which transfer price between A and B should the parent select?

A)$200
B)$100
C)$150
D)none of the options
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65
The lower the transfer price,

A)the higher the net profit reported by the MNC.
B)the lower the gross profit of the transferring division relative to the receiving division.
C)the higher the gross profit of the receiving division relative to the transferring division.
D)none of the options
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66
Suppose a U.S.-based MNC makes bicycles with parts from its subsidiary in a low-tax East Asian country.The bicycle frames are made here,the component parts (cranksets,wheels,and so on)are made abroad,and the bicycles are assembled in Japan and reimported to the U.S.It can reduce its reported U.S.income-and increase its subsidiary's profits-by

A)overcharging its subsidiaries for the U.S.-made frames.
B)undercharging its subsidiaries for the U.S.-made frames.
C)assembling the bicycles in the U.S.
D)none of the options
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67
A "tax haven" country is one that has a low,or zero percent,national tax rates.Some of the countries that fall into this category are

A)Bahamas,Bahrain,Bermuda,and the Cayman Islands.
B)Denmark,Norway,Switzerland,and Sweden.
C)Bulgaria,Canada,Saudi Arabia,and South Africa.
D)Congo,Egypt,Kuwait,and Zaire.
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68
As a rule,payments to and from foreign affiliates

A)involve the issue of transfer pricing.
B)involve accounting values assigned to goods or services exchanged between foreign affiliates.
C)involve tax credits trading between affiliates.
D)involve the issue of transfer pricing,as well as accounting values assigned to goods or services exchanged between foreign affiliates.
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69
As a general rule,

A)excess tax credits can be carried back two years.
B)excess tax credits can be carried forward five years.
C)excess tax credits must be used in the year recognized.
D)excess tax credits can be carried back two years and can be carried forward five years.
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70
There are three production stages required before a bicycle produced by MasiBicicletia S.A.can be sold at retail for €4,500.The VAT rate is 15 percent.Find the total tax liability due.  Production Stage  Bellirig Price  Value Added  Irncrernertal VAT 11,00022,7503,500\begin{array} { c c c } \text { Production Stage } & \text { Bellirig Price } & \text { Value Added }& \text { Irncrernertal VAT } \\1& € 1,000 & \\2 & € 2,750 & \\3 & € , 500 &\end{array}

A)€525
B)€675
C)€3,500
D)none of the options
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71
An overseas affiliate of a U.S.MNC can be organized

A)as a branch.
B)as a subsidiary.
C)as a branch,as well as a subsidiary.
D)none of the options
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72
A foreign branch is

A)an extension of the parent and is not an independently incorporated firm separate from the parent.
B)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 10 percent of the voting equity stock.
C)either a minority foreign subsidiary (an uncontrolled foreign corporation)or a controlled foreign corporation.
D)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 10 percent of the voting equity stock.In addition,a foreign branch is either a minority foreign subsidiary (an uncontrolled foreign corporation)or a controlled foreign corporation.
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73
A transfer price

A)is the price that one division of a firm charges to another division of a firm.
B)is an accounting issue,not a finance issue.
C)does not involve actual cash flows,therefore does not impact the share price.
D)none of the options
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74
When excess tax credits go unused,the foreign tax liability for a branch is greater than the corresponding U.S.tax liability when the foreign income tax rate is greater than the U.S.rate.Calculate the total tax liability for a wholly-owned subsidiary when excess tax credits cannot be used in a country given: 35% 35 \% U.S. tax rate
41% 41 \% Foreign tax rate
4% 4\% Withholding tax rate

A)35.00 percent
B)37.00 percent
C)43.36 percent
D)42.05 percent
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75
These days the benefits of "tax haven" subsidiaries have been reduced by

A)the present corporate income tax rate in the United States is not especially high in comparison to most non-tax haven countries.
B)the rules governing controlled foreign corporations have effectively eliminated the ability to defer passive income in a tax haven subsidiary.
C)all of the options
D)none of the options
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76
Countries differ in how they tax foreign-source income of their domestic MNCs.

A)Therefore,different forms of structuring a multinational organization within a country can result in different tax liabilities for the firm.
B)However,due to tax treaties and foreign tax credits,this is not an issue for a U.S.-based MNC.
C)But all countries tax domestic income of their domestic MNCs in the same way.
D)all of the options
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77
A foreign subsidiary is

A)an extension of the parent and is not an independently incorporated firm separate from the parent.
B)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 10 percent of the voting equity stock.
C)either a minority foreign subsidiary (an uncontrolled foreign corporation)or a controlled foreign corporation.
D)an affiliate organization of the MNC that is independently incorporated in the foreign country,and one in which the U.S.MNC owns at least 10 percent of the voting equity stock.In addition,a foreign subsidiary is either a minority foreign subsidiary (an uncontrolled foreign corporation)or a controlled foreign corporation.
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78
The undistributed income of a minority foreign subsidiary of a U.S.MNC

A)is tax deferred until it is remitted via a dividend.
B)is taxed as imputed income.
C)is withheld under subpart U.S.income restrictions.
D)none of the options
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79
When excess tax credits go unused,the foreign tax liability for a branch is greater than the corresponding U.S.tax liability when the foreign income tax rate is greater than the U.S.rate.Calculate the total tax liability for a wholly-owned subsidiary when excess tax credits cannot be used in a country given: U.S.tax rate = 35 percent
Foreign tax rate = 39 percent
Withholding tax rate = 5 percent

A)44.00 percent
B)35.00 percent
C)43.36 percent
D)42.05 percent
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80
The U.S.IRS allows transfer prices to be set using the arms-length price.

A)This is a very straight-forward method to use in practice-just use the eBay price.
B)This method is difficult to apply in practice because many factors enter into the pricing of goods and services.Examples include: differences in the terms of sale,differences in quantity and or quality sold,even differences in location or date of sale.
C)all of the options
D)none of the options
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