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Financial accounting: EITF update.


Income Tax and Foreign Companies

This month's column lists new EITF EITF Emerging Issues Task Force
EITF Edinburgh International Television Festival
EITF Europe International Taekwon-Do Federation
 consensuses adopted March 21, 1996 (see the sidebar on page 101). In addition, three earlier consensuses on deferred tax implications for foreign companies that are assessed taxes on dividends paid and for parent companies of the foreign subsidiaries are summarized in our new format.

ISSUE 95-9

Accounting for Tax Effects of Dividends in France in Accordance with FASB Statement FASB Statement

A standard set by the Financial Accounting Standards Board regarding a financial accounting and reporting method. Essentially, FASB statements determine the acceptable accounting practices that Certified Public Accountants use in reporting
 no. 109.

Consensus dated: September 20-21, 1995.

Entities affected: French corporations paying dividends to French shareholders and other corporations that are assessed taxes when dividends are paid.

Background: French corporations pay a tax (called a precompte) when dividends are paid to shareholders. The French shareholder initially is taxed on the dividend received but then gets a tax credit for that same amount. The precompte is equal to the tax credit permitted the shareholders, subject to certain limitations. This mechanism eliminates double taxation of dividends.

Issue: Should the payment of this corporate tax by the French corporation be recorded as (1) an increase in income tax expense and income taxes payable; or (2) an increase in dividends paid (retained earnings Retained Earnings

The percentage of net earnings not paid out in dividends, but retained by the company to be reinvested in its core business or to pay debt. It is recorded under shareholders equity on the balance sheet.
) in the equity section and withholding taxes payable relating to the dividend recipient?

Consensus: Record payment as withholding taxes payable and dividends paid if both of the following conditions are met: (1) The tax is payable by the corporation if and only if a dividend is distributed to shareholders. The tax does not reduce future income taxes the corporation would otherwise pay. (2) Shareholders receiving the dividend are entitled to a tax credit at least equal to the tax paid by the corporation and that credit is realizable either as a refund or as a reduction of taxes otherwise due, regardless of the tax status of the shareholders.

ISSUE 95-10 Accounting for Tax Credits Related to Dividend Payments in Accordance with FASB Statement no. 109.

Consensus dated: July 20-21, 1995.

Entities affected: Separate financial statements of foreign corporations that receive tax credits related to dividend payments.

Background: Certain foreign jurisdictions tax corporate income at different rates depending on whether that income is distributed to shareholders. For example, undistributed profits undistributed profits

See retained earnings.
 of German corporations are taxed at a 45%, while distributed income is taxed at 30%. Enterprises that pay dividends from previously undistributed Adj. 1. undistributed - (of investments) not distributed among a variety of securities
undiversified - not diversified
 income receive a tax credit (or tax refund Tax refund

Money back from the government when too much tax has been paid or withheld from a salary.
) equal to the difference between (1) the tax computed at the "undistributed rate" in effect the year the income is earned (for tax purposes) and (2) the tax computed at the "distributed rate" in effect the year the dividend is distributed.

Issue: Should a deferred tax asset be recognized for the tax benefits of future tax credits that will be realized when the previously taxed income is distributed?

Consensus: No. Those tax benefits should be recognized as a reduction of income tax expense in the period that the tax credits are included in the enterprise's tax return. Based on the consensus, the enterprise would measure the tax effects of temporary differences using the undistributed rate. This consensus applies only to the separate financial statements of foreign corporations that receive tax credits related to dividend payments and prepare their financial statements in accordance with generally accepted accounting principles The standard accounting rules, regulations, and procedures used by companies in maintaining their financial records.

Generally accepted accounting principles (GAAP) provide companies and accountants with a consistent set of guidelines that cover both broad accounting
.

ISSUE 95-20

Measurement in the Consolidated Financial Statements Consolidated Financial Statements

The combined financial statements of a parent company and its subsidiaries.

Notes:
Because consolidated financial statements present an aggregated look at the financial position of a parent and its subsidiaries, they enable you to gauge
 of a Parent of the Tax Effects Related to the Operations of a Foreign Subsidiary That Receives Tax Credits Related to Dividend Payments.

Consensus dated: November 15-16, 1995.

Entities affected: Parent companies preparing consolidated financial statements that include a foreign subsidiary that receives tax credits for dividends paid.

Background: See Issue no. 95-10 above.

Issue: Should the consensus in Issue no. 95-10 apply to consolidated financial statements in which a parent company expects to remit the earnings of a foreign subsidiary that receives tax credits for dividends paid?

Consensus: The future tax credit to be received when dividends are paid and the deferred tax effects related to the operations of the foreign subsidiary should be recognized in the consolidated financial statements based on the distributed rate if the parent is not applying the indefinite reversal criteria of Accounting Principles Board The Accounting Principles Board (APB) is the former authoritative body of the American Institute of Certified Public Accountants (AICPA). It was created by the American Institute of Certified Public Accountants in 1959 and issued pronouncements on accounting principles until 1973,  Opinion no. 23, Accounting for Income Taxes--Special Areas. However, the undistributed rate should be used in the consolidated financial statements to the extent that the parent has not provided for deferred taxes on the unremitted earnings of the foreign subsidiary as a result of applying the indefinite reversal criteria of Opinion no. 23.

EITF Abstracts, copyrighted by the FASB FASB

See: Financial Accounting Standards Board


FASB

See Financial Accounting Standards Board (FASB).
, is available in soft-cover and loose-leaf versions and may be obtained by contacting the FASB order department at 401 Merritt 7, P.O. Box 5116, Norwalk, Connecticut 06856-5116. Phone: (203) 847-0700.

Statement on Auditing Standards no. 69, The Meaning of "Present Fairly in Conformity With Generally Accepted Accounting Principles" in the Independent Auditor's Report Auditor's Report

Recorded in the annual report, the auditor's report tests to see that a corporation's financial statements comply with GAAP. This is sometimes referred to as the clean opinion.

Notes:
Most auditor's reports consist of three paragraphs.
, identifies Financial Accounting Standards Board Financial Accounting Standards Board (FASB)

Board composed of independent members who create and interpret Generally Accepted Accounting Principles (GAAP).
 emerging issues task force (EITF) consensuses as sources of established generally accepted accounting principles.

By LINDA A. VOLKERT, 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. , senior technical manager of the AICPA AICPA

See American Institute of Certified Public Accountants (AICPA).
 technical hotline team.
COPYRIGHT 1996 American Institute of CPA's
No portion of this article can be reproduced without the express written permission from the copyright holder.
Copyright 1996, Gale Group. All rights reserved. Gale Group is a Thomson Corporation Company.

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Article Details
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Title Annotation:AICPA emerging issues task force, income tax accounting for foreign corporations
Author:Volkert, Linda A.
Publication:Journal of Accountancy
Date:May 1, 1996
Words:829
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