ARTICLE
15 November 2013

Chief Counsel Advice Addresses Section 902 Credits In Redemption Of CFC Foreign Shareholder

The IRS has released Chief Counsel Advice, holding that when the earnings and profits of a controlled foreign corporation are reduced as a result of a Section 302 redemption, a corresponding reduction in the CFC’s post-1986 foreign income taxes (foreign tax pool) must also be made.
United States Tax
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The IRS has released Chief Counsel Advice (AM 2013-006), holding that when the earnings and profits (E&P) of a controlled foreign corporation (CFC) are reduced as a result of a Section 302 redemption, a corresponding reduction in the CFC's post-1986 foreign income taxes (foreign tax pool) must also be made.

The general facts provided that a U.S. parent (USP) owned 60% of the stock of a CFC immediately prior to the redemption. The other 40% of the stock was owned by an unrelated foreign party (FP). The CFC did not earn any subpart F income. In year 1, the CFC used cash to redeem all of the stock owned by the FP. Pursuant to Section 302(b)(3), this redemption was treated as a Section 302(a) distribution in full payment in exchange for the stock. After the redemption, the USP owned 100% of the CFC. As a result of the redemption, the CFC's year 1 E&P was decreased under Section 312(a) and Section 312(n)(7) by the E&P attributable to the stock of the FP that the CFC redeemed. In year 2, the CFC paid its entire remaining E&P to the USP as a dividend, and the USP claimed a Section 902 deemed-paid foreign tax credit equal to the CFCs foreign tax pool.

The advice concluded that Treas. Reg. Sec. 1.902-1(a)(8)(i) would apply to require the CFC to reduce its foreign tax pool as the result of the redemption. 

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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