T.D. 8618 - Definition of a Controlled Foreign Corporation, Foreign Base Company Income, and Foreign Personal Holding Company Income of a Controlled Foreign Corporation (INTL-362-88)
T.D. 8618 - Definition of a
Controlled Foreign Corporation, Foreign Base Company Income, and
Foreign Personal Holding Company Income of a Controlled Foreign
Corporation (INTL-362-88)
Extension without change of a currently approved collection
The election and recordkeeping
requirements are necessary to exclude certain high-taxed or active
business income from subpart F income or to include certain income
in the appropriate category of subpart F income. The recordkeeping
and election procedures allow the U.S. shareholders and the IRS to
know the amount of the controlled foreign corporation's subpart F
income.
US Code:
26
USC 957 Name of Law: Controlled foreign corporations; United
States persons
US Code: 26
USC 954 Name of Law: Foreign base company 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.