New Foreign Tax Credit Anti-Splitting Rule

11.08.2010
Tax Notes
Article
In a foreign tax credit splitting event, newly enacted section 909 essentially defers FTCs until the related income is taken into account. Section 909’s interpretation poses some challenges, especially in identifying the related income. Click on the pdf icon to read the full version of the article.

Related Practices/Industries

Jump to Page

We use cookies to make your experience of our website better. By continuing to browse this site you content to the use of cookies. Please visit our Privacy Policy for more information.