TD 9502 - (Final) Exclusions From Gross Income of Foreign Corporations
Revision of a currently approved collection
No
Regular
Approved without change
06/10/2011
04/25/2011
table that charts list comparision
Inventory as of this Action
Requested
Previously Approved
06/30/2014
36 Months From Approved
11/30/2011
16,400
0
16,400
23,900
0
23,900
0
0
0
This document contains rules implementing the portions of section 883(a) and (c) of the Internal Revenue Code that relate to income derived by foreign corporations from the international operation of a ship or ships or aircraft. The rules provide, in general, that a foreign corporation organized in a qualified foreign country and engaged in the international operation of ships or aircraft shall exclude qualified income from gross income for purposes of United States Federal income taxation, provided that the corporation can satisfy certain ownership and related documentation requirements.
US Code:
26 USC 883
Name of Law: Exclusions from gross income
On behalf of this Federal agency, I certify that the collection of information encompassed by this request complies with 5 CFR 1320.9 and the related provisions of 5 CFR 1320.8(b)(3).
The following is a summary of the topics, regarding the proposed collection of information, that the certification covers:
(i) Why the information is being collected;
(ii) Use of information;
(iii) Burden estimate;
(iv) Nature of response (voluntary, required for a benefit, or mandatory);
(v) Nature and extent of confidentiality; and
(vi) Need to display currently valid OMB control number;
If you are unable to certify compliance with any of these provisions, identify the item by leaving the box unchecked and explain the reason in the Supporting Statement.