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Five unrelated U.S. individuals own all of the shares of Popping, a corporation organized in the United States but operating fully in the country Vivace.

Five unrelated U.S. individuals own all of the shares of Popping, a corporation organized in the United States but operating fully in the country Vivace. Mariam, one of the shareholders, asks you whether the income from Popping will be taxed to her immediately as earned, as she believes the entity is classified as a controlled foreign corporation (CFC). Explain how the Federal income tax law applies to the profits earned by Popping. Use the correct Federal income tax terminology in your comments.

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