Phoenix, Inc., a U.S.shareholder owns 100% of a CFC from which Phoenix receives a $650,000 distribution.The CFC's E & P is composed of the following amounts.
-$400,000 attributable to previously taxed increases in investment in U.S.property.
-$200,000 attributable to previously taxed Subpart F income.
-$100,000 attributable to other E & P.
Phoenix recognizes a taxable dividend of:
A) $650,000.
B) $600,000.
C) $200,000.
D) $50,000.
E) None of the above.
Correct Answer:
Verified
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