Taxation of foreign source income

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Reference no: EM132406840

International Finance Problem Set on Taxation of Foreign Source Income

Theta Corporationis a U.S. based multinational firm in the electronics industry.  It has wholly owned subsidiaries in Ireland, where sales and profits for the world outside of the U.S are booked, and in Bermuda, which owns the intellectual property rights for the technology used in Omega products.  Below are the tax rates applicable in each country.

U.S. basic corporate tax rate: 21%

Tax on declared dividends of a foreign subsidiary: 0%

Tax on undeclared foreign earnings: 21% with credit for foreign taxes paid

Tax on intangible income (GILTI): 13.125%

Irish corporate tax rate: 12.5%

Bermuda corporate tax rate: 0%

In 2020 Theta Corp. reported these operating profits for its foreign subsidiaries:

Ireland: $6 b with half declared as dividends

Bermuda: $5 b with no dividends declared

a. What would be Theta's U.S. tax liability and effective tax rate on this foreign source income?

B. If the Irish subsidiary declared 100% of its profits as dividends, what would be the U.S. tax liability and effective tax rate?

Reference no: EM132406840

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