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For a US Shareholder of a CFC, they will be eligible for a foreign tax credit for foreign tax paid on Subpart F income... A

For a US Shareholder of a CFC, they will be eligible for a foreign tax credit for foreign tax paid on Subpart F income...

A - In the year they include the income on their return.

B - In the year they receive the distribution of that Subpart F income

C - No foreign tax credit allowed on the Subpart F income

D - None of the above is true

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