Jumper, Incorporated, which has a 21 percent tax rate, owns 40 percent of the stock of a CFC. At the beginning of 2022, Jumper's basis in its stock was $660,000. The CFC's 2022 income was $1 million, $800,000 of which was subpart F income. The CFC paid no foreign income tax and distributed no dividends. Required: In 2023, the CFC's income was $600,000, none of which was subpart F income or GILTI, and it distributed a $300,000 dividend to its shareholders ($120,000 to Jumper). How much of this actual dividend is taxable to Jumper in 2023? Compute Jumper's basis in its CFC stock at the beginning of 2024. Note: Consider intermediate values in dollars and not in millions. Enter your final answers also in dollars and not in millions of dollars.
Jumper, Incorporated, which has a 21 percent tax rate, owns 40 percent of the stock of a CFC. At the beginning of 2022, Jumper's basis in its stock was $660,000. The CFC's 2022 income was $1 million, $800,000 of which was subpart F income. The CFC paid no foreign income tax and distributed no dividends. Required: In 2023, the CFC's income was $600,000, none of which was subpart F income or GILTI, and it distributed a $300,000 dividend to its shareholders ($120,000 to Jumper). How much of this actual dividend is taxable to Jumper in 2023? Compute Jumper's basis in its CFC stock at the beginning of 2024. Note: Consider intermediate values in dollars and not in millions. Enter your final answers also in dollars and not in millions of dollars.
Chapter17: Corporations: Introduction And Operating Rules
Section: Chapter Questions
Problem 48P
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ISBN:
9780357109731
Author:
Hoffman
Publisher:
CENGAGE LEARNING - CONSIGNMENT