For dividends received prior to 2018, the deemed paid foreign tax credit treats a U.S. corporation that receives a foreign source dividend as if the corporation paid tax directly to a foreign jurisdiction.
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Q29: Excess foreign tax credits can only be
Q30: Under most tax treaties, income attributable to
Q31: Cross-crediting allows multinational corporations to use excess
Q32: The foreign subsidiaries of a U.S. corporation
Q33: The United States has jurisdiction to tax
Q35: Sales to foreign customers through a branch
Q36: Foreign value-added taxes and excise taxes are
Q37: The foreign tax credit is available only
Q38: The foreign tax credit is available for
Q39: A U.S. parent corporation that receives a
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