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CFC credit rules eased.


In response to the liquidity crisis, which has made it difficult for taxpayers to fund their operations, the IRS An abbreviation for the Internal Revenue Service, a federal agency charged with the responsibility of administering and enforcing internal revenue laws.  quickly responded on Oct. 3 with Notice 200891, temporarily expanding the short-term financing exception to IRC (Internet Relay Chat) Computer conferencing on the Internet. There are hundreds of IRC channels on numerous subjects that are hosted on IRC servers around the world. After joining a channel, your messages are broadcast to everyone listening to that channel.  [section] 956. This measure will permit corporations to access cash from their controlled foreign corporations Controlled foreign corporation (CFC)

A foreign corporation whose voting stock is more than 50% owned by US stockholders, each of whom owns at least 10% of the voting power.
 (CFCs) without having an income inclusion for U.S. tax purposes. Since the IRS stated that it did this to facilitate liquidity in the near term, the new exclusion rules apply only for the first two taxable years of a foreign corporation ending after Oct. 3, 2008, and does not apply to tax years beginning after Dec. 31, 2009. For calendar year corporations, the notice is applicable to tax years 2008 and 2009.

Generally, a loan from a CFC CFC

See: Controlled foreign corporation
 to its U.S. shareholder is treated as the acquisition of an obligation of a U.S. person by the CFC that is an investment in U.S. property. Such an investment may require the U.S. shareholder to recognize income under IRC [section] 951. Prior Notice 88-108 provided an exception for short-term loans repaid within 30 days, as long as the CFC does not hold obligations that would be investments for more than 60 days during the year.

Notice 2008-91 extends the exception for loans held by the CFC that are repaid within 60 days from the time incurred (and allows the CFC to elect to exclude them under section 956 from the definition of "obligation"), as long as the CFC does not hold obligations that would be investments in U.S. property for 180 days or more during the tax year. The latest rules do not otherwise affect the application of Notice 88-108. A CFC may rely on either notice but not both.

* Notice 2008-91

By AICPA AICPA

See American Institute of Certified Public Accountants (AICPA).
 Technical Manager Eileen Reichenberg Sherr, CPA (Computer Press Association, Landing, NJ) An earlier membership organization founded in 1983 that promoted excellence in computer journalism. Its annual awards honored outstanding examples in print, broadcast and electronic media. The CPA disbanded in 2000. , M. Taxation.
COPYRIGHT 2009 American Institute of CPA's
No portion of this article can be reproduced without the express written permission from the copyright holder.
Copyright 2009 Gale, Cengage Learning. All rights reserved.

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Title Annotation:controlled foreign corporations
Author:Sherr, Eileen Reichenberg
Publication:Journal of Accountancy
Date:Jan 1, 2009
Words:306
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