Correct Answer
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Multiple Choice
A) If the corporation earns at least 80% of its gross income over the immediately preceding three tax years from the active conduct of a U.S. trade or business.
B) Unless the corporation earns at least 80% of its gross income over the immediately preceding three tax years from the active conduct of a foreign trade or business.
C) If the corporation earns at least 25% of its gross income over the immediately preceding three tax years from the active conduct of a U.S. trade or business.
D) Unless the corporation earns at least 25% of its gross income over the immediately preceding three tax years from the active conduct of a foreign trade or business.
E) In all of the above cases.
Correct Answer
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True/False
Correct Answer
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True/False
Correct Answer
verified
Multiple Choice
A) Income from sale of property manufactured by the CFC.
B) Income from the sale of property manufactured by a subsidiary of the CFC in the same country as the CFC.
C) Income from the sale of property manufactured by the U.S. parent of the CFC outside the CFC's country.
D) Income from the sale of property manufactured by an unrelated person outside the CFC's country of incorporation.
Correct Answer
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Multiple Choice
A) U.S. persons benefit from earning low-tax foreign-source income.
B) Foreign persons generally benefit from avoiding U.S.-source income classification.
C) U.S. persons are not concerned with source of income because all their income is subject to U.S. tax under a worldwide system.
D) Foreign persons may be subject to tax on U.S.-source income without regard to their actual presence in the United States.
Correct Answer
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Essay
Correct Answer
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View Answer
Multiple Choice
A) $10 million.
B) $16 million.
C) $187,500.
D) $487,500.
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Essay
Correct Answer
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View Answer
True/False
Correct Answer
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Multiple Choice
A) Foreign persons are not subject to U.S. tax if not engaged in a U.S. trade or business.
B) Foreign persons with any U.S.-source income are taxed on net investment income (after expenses) .
C) Foreign persons are subject to potential withholding taxes on the gross amount of U.S.-source investment income.
D) Foreign persons with only U.S.-source investment income are exempt from U.S. tax.
E) None of the above statements are true.
Correct Answer
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Multiple Choice
A) Foreign persons with only foreign activities.
B) U.S. persons with U.S. and foreign activities.
C) U.S. persons with only U.S. activities.
D) U.S. persons that earn only tax-exempt income.
Correct Answer
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Multiple Choice
A) $15,000 loss.
B) $15,000 gain.
C) $75,000 gain.
D) $0. There is no exchange gain or loss on a dividend distribution.
Correct Answer
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Multiple Choice
A) Sale of a commercial building located in Houston, Texas, and owned directly by the NRA.
B) Sale of stock of a foreign corporation whose only asset is a U.S. building.
C) Sale of stock of a domestic corporation whose only asset is undeveloped U.S. real estate.
D) Sale of partnership interest. The partnership's assets predominantly are made up of U.S. real estate.
Correct Answer
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Multiple Choice
A) A foreign person's effectively connected income is subject to U.S. income taxation.
B) A foreign person's effectively connected income is tax free unless it is portfolio income.
C) A foreign person may earn income from U.S. real property without incurring any U.S. income tax.
D) A foreign person must spend at least 183 days in the United States before any effectively connected income is subject to U.S. taxation.
Correct Answer
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True/False
Correct Answer
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Multiple Choice
A) $0.
B) $455,000.
C) $500,000.
D) $770,000.
E) Some other amount.
Correct Answer
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Multiple Choice
A) $0.
B) $19,200.
C) $60,800.
D) $80,000.
Correct Answer
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Multiple Choice
A) To allow foreign corporations to compete fairly with U.S. corporations doing business in the foreign jurisdiction.
B) To allow U.S. corporations operating through foreign subsidiaries to receive a foreign tax credit for income taxes paid by their subsidiaries.
C) To allow U.S. corporations operating through foreign branches to receive a foreign tax credit for income taxes paid by their branches.
D) To allow U.S. corporations to compete fairly with foreign corporations doing business in the United States.
Correct Answer
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Multiple Choice
A) Incorporation of U.S branch as a U.S. corporation when the branch earns foreign-source income.
B) Incorporation of a U.S. branch as a U.S. corporation if the new U.S. corporation also has foreign shareholders.
C) Incorporation of a U.S. branch as a U.S. corporation if the new U.S. corporation has no foreign shareholders.
D) All the above.
E) None of the above.
Correct Answer
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