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

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

|

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.