Question
Chapeau Company, a U.S. corporation, operates through a branch in Champagnia. The source rules used by Champagnia are identical to those used by the United
Chapeau Company, a U.S. corporation, operates through a branch in Champagnia. The source rules used by Champagnia are identical to those used by the United States. For 2020, Chapeau has $2,400 of gross income: $1,440 from U.S. sources and $960 from sources within Champagnia. The $1,440 of U.S. source income and $840 of the foreign source income are attributable to manufacturing activities in Champagnia (foreign branch income). The remaining $120 of foreign source income is passive category interest income. Chapeau had $600 of expenses other than taxes, all of which are allocated directly to manufacturing income ($240 of which is apportioned to foreign sources). Chapeau paid $166 of income taxes to Champagnia on its manufacturing income. The interest income was subject to a 10 percent withholding tax of $12. Compute Chapeaus total allowable foreign tax credit in 2020. (Do not round any division. Round other intermediate computations to the nearest whole dollar amount.)
total foreign tax credit?
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