Review case of us international corporation

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Reference no: EM131705839

Question: U.S. International Corporation

U.S. International Corporation (USIC), a U.S. taxpayer, has investments in Foreign Entities A-G. Relevant information for these entities for the current fiscal year appears in the following table:

Entity


County


Percent
Owned


Activity


Income
before Tax
($ millions)


Income
Tax Rate


Dividend
Withholding
Tax Rate


Net Amount Received by Parent ($ millions)

USIC

United States

-

Manufacturing

$10

35%

-

-

A

Argentina

100%

Manufacturing

$ I

35

0%

$0.2

B

Brazil

100

Manufacturing

$ 2

34

0

$2.5*

C

Canada

100

Manufacturing

$ 3

33

5

$1.0

D

Hong Kong

100

Investment

$ 2

16.5

0

$1.5

E

Liechtenstein

100

Distribution

$ 3

10

4

$0.0

F

Japan

51

Manufacturing

$ 2

40

5

$0.5

G

New Zealand

60

Banking

$ 4

30

15

$1.0

Additional Information

1. USIC's $10 million income before tax is derived from the production and sale of products in the United States.

2. Each entity is legally incorporated in its host country other than Entity A, which is registered with the Argentinian government as a branch.

3. Entities A, B, C, and F produce and market products in their home countries.

4. Entity D makes passive investments in stocks and bonds in the Hong Kong financial markets. Income is derived solely from dividends and interest.

5. Entity E markets goods purchased from (manufactured by) USIC. Of E's sales, 95 percent are made in Austria, Germany, and Switzerland, and 5 percent are made in Liechtenstein.

6. Entity G operates in the financial services industry in New Zealand. Required Determine the following:

a. The amount of U.S. taxable income for each Entity A-G.

b. The foreign tax credit allowed in the United States, first by basket and then in total.

c. The net U.S. tax liability.

d. Any excess foreign tax credits (identify by basket).

Reference no: EM131705839

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