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Avon's Foreign-Source Income. Avon is a U.S.-based direct seller of a wide array of products. Avon markets leading beauty, fashion, and home products in more

Avon's Foreign-Source Income. Avon is a U.S.-based direct seller of a wide array of products. Avon markets leading beauty, fashion, and home products in more than 100 countries. As part of the training in its corporate treasury offices, it has its interns build a spreadsheet analysis of the following hypothetical subsidiary earnings/distribution analysis. Use the tax analysis presented in the popup window for your basic structure,

Baseline Values

Case 1

Case 2

a Foreign corporate income tax rate

28%

40%

b U.S. corporate income tax rate

36%

36%

c Foreign dividend withholding tax rate

15%

0%

d U.S. ownership in foreign firm

100%

100%

e Dividend payout rate of foreign firm

100%

100%

Foreign Subsidiary Tax Computation

1 Taxable income of foreign subsidiary

$3,500,000

$3,500,000

2 Foreign corporate income tax

(980,000)

(1,400,000)

3 Net income available for distribution

$2,520,000

$2,100,000

4 Retained earnings

0

0

5 Distributed earnings

2,520,000

2,100,000

6 Distribution to U.S. parent company

2,520,000

2,100,000

7 Withholding taxes on dividends

378,000

0

8 Net remittance to U.S. parent

$2,142,000

$2,100,000

U.S. Corporate Tax Computation on Foreign Income

9 Dividend received before withholding

$2,520,000

$2,100,000

10 Add back foreign deem-paid tax

980,000

1,400,000

11 Grossed-up foreign dividend

$3,500,000

$3,500,000

12 Tentative U.S. liability

1,260,000

1,260,000

13 Less credit for foreign taxes

a foreign income taxes paid

(980,000)

(1,400,000)

b foreign withholding taxes paid

(378,000)

(0)

c total

($1,358,000)

($1,400,000)

14 Additional U.S. taxes due

$0

$0

15 Excess foreign tax credits

98,000

140,000

16 After-tax income from foreign subsidiary

$2,240,000

$2,240,000

a. What is the total tax payment, foreign and domestic combined, for this income?

b. What is the effective tax rate paid on this income by the U.S.-based parent company?

c. What would be the total tax payment and effective tax rate if the foreign corporate tax rate was

40%

and there were no withholding taxes on dividends?

d. What would be the total tax payment and effective tax rate if the income was earned by a branch of the U.S. corporation?

a. What is the total tax payment, foreign and domestic combined, for this income?

ex $(Round to the nearest dollar.)

b. What is the effective tax rate paid on this income by the U.S.-based parent company?

ex 38.8(Round to one decimal place.)

c. What would be the total tax payment if the foreign corporate tax rate was

ex 42%

and there were no withholding taxes on dividends?

ex $1,344,000(Round to the nearest dollar.)

What would be the effective tax rate if the foreign corporate tax rate was

ex 42%

and there were no withholding taxes on dividends?

42.0(Round to one decimal place.)

d. What would be the total tax payment if the income was earned by a branch of the U.S. corporation?

ex $1,120,000(Round to the nearest dollar.)

What would be the effective tax rate if the income was earned by a branch of the U.S. corporation?

ex 35.1 (Round to one decimal place.)

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