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urse! What recent change was made to the tax treatment of dividends received by U.S. corporations from foreign subsidiaries?

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A CFC generally is defined as any FOreign company  if U.S. persons own (directly, indirectly, or constructively) more than 50% of the corporation’s stock (measured by vote or value), taking into account only those U.S. persons that are “U.S. Shareholders” – i.e., U.S. persons who own at least 10% of the Controlled foreign company’s(CFC) stock (which, prior to the Act, was measured by vote only).

Moreover It has been provided that any dividend income will be allowed as deduction , If it has been taxed in source country ( i.e from where income is generated)

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