The New Rules for Taxing CFC Income - McDermott Will & Emery

The New Rules for Taxing CFC Income

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Overview


Lowell Yoder wrote this bylined article on the modified rules for taxing US shareholders on income earned by a controlled foreign corporation (CFC). “A significant new inclusion rule was added that subjects to current U.S. taxation 50% of a CFC’s remaining income over a routine return on depreciable tangible assets,” Mr. Yoder wrote.