Proposed Foreign Tax Credit Regulations Clarify Taxpayers’ Ability to Claim Deemed Paid Credits | McDermott Skip to main content

Proposed Foreign Tax Credit Regulations Clarify Taxpayers’ Ability to Claim Deemed Paid Credits

Proposed Foreign Tax Credit Regulations Clarify Taxpayers’ Ability to Claim Deemed Paid Credits

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Überblick


Enrica Ma and Bradford E. LaBonte authored this bylined article outlining the recently released proposed regulations made by the Internal Revenue Service that address the calculation of a corporate US shareholder’s deemed paid foreign tax credits under section 960.