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Gamboa's Tax Averaging. Gamboa, Incorporated, is a relatively new U.S.-based retailer of specialty fruits and vegetables. The firm is vertically integrated with fruit and vegetable-sourcing
Gamboa's Tax Averaging. Gamboa, Incorporated, is a relatively new U.S.-based retailer of specialty fruits and vegetables. The firm is vertically integrated with fruit and vegetable-sourcing subsidiaries in Central America, and distribution outlets throughout the southeastern and northeastern regions of the United States. Gamboa's two Central American subsidiaries are in Belize and Costa Rica. Maria Gamboa, the daughter of the firm's founder, is being groomed to take over the firm's financial management in the near future. Like many firms of Gamboa's size, it has not possessed a very high degree of sophistication in financial management simply out of time and cost considerations. Maria, however, has recently finished her MBA and is now attempting to put some specialized knowledge of U.S. taxation practices to work to save Gamboa money. Her first concern is tax averaging for foreign tax liabilities arising from the two Central American subsidiaries. As shown in the popup window, 1, Costa Rican operations are slightly more profitable than Belize, which is particularly good since Costa Rica is a relatively low-tax country. Costa Rican corporate taxes are a flat 30%, and here are no withholding ta es imposed on dvidends paid by foreign firms with operations ere. Be ze has a higher co rate income ax rate 40%, and poses a 10% withholding a onal dividends distributed to foreign investors. The current U.S. corporate income tax rate is 35%. a. If Maria Gamboa assumes a 50% payout rate from each subsidiary, what are the additional taxes due on foreign-sourced income from Belize and Costa Rica individually? How much in additional U.S. taxes would be due if Maria averaged the tax credits/liabilities of the two units? b. Keeping the payout rate from the Belize subsidiary at 50%, how should Maria change the payout rate of the Costa Rican subsidiary in order to most efficiently manage he total foreign tax bill? c. What is the minimum effective tax rate that Maria can achieve on her foreign-sourced income? a. If Maria Gamboa assumes a 50% payout rate from each subsidiary, calculate the additional taxes due or excess foreign tax credits on foreign-sourced income from Belize individually in the following table: Round to the nearest dollar.) Subsidiary Income Statement Earnings before taxes Less corporate income taxes Net income Distributed earnings Less withholding taxes on dividendsL Net dividend remitted to U.S. parent Belize Costa Rica Combined 1,900,000 Gamboa's Tax Averaging. Gamboa, Incorporated, is a relatively new U.S.-based retailer of specialty fruits and vegetables. The firm is vertically integrated with fruit and vegetable-sourcing subsidiaries in Central America, and distribution outlets throughout the southeastern and northeastern regions of the United States. Gamboa's two Central American subsidiaries are in Belize and Costa Rica. Maria Gamboa, the daughter of the firm's founder, is being groomed to take over the firm's financial management in the near future. Like many firms of Gamboa's size, it has not possessed a very high degree of sophistication in financial management simply out of time and cost considerations. Maria, however, has recently finished her MBA and is now attempting to put some specialized knowledge of U.S. taxation practices to work to save Gamboa money. Her first concern is tax averaging for foreign tax liabilities arising from the two Central American subsidiaries. As shown in the popup window, 1, Costa Rican operations are slightly more profitable than Belize, which is particularly good since Costa Rica is a relatively low-tax country. Costa Rican corporate taxes are a flat 30%, and here are no withholding ta es imposed on dvidends paid by foreign firms with operations ere. Be ze has a higher co rate income ax rate 40%, and poses a 10% withholding a onal dividends distributed to foreign investors. The current U.S. corporate income tax rate is 35%. a. If Maria Gamboa assumes a 50% payout rate from each subsidiary, what are the additional taxes due on foreign-sourced income from Belize and Costa Rica individually? How much in additional U.S. taxes would be due if Maria averaged the tax credits/liabilities of the two units? b. Keeping the payout rate from the Belize subsidiary at 50%, how should Maria change the payout rate of the Costa Rican subsidiary in order to most efficiently manage he total foreign tax bill? c. What is the minimum effective tax rate that Maria can achieve on her foreign-sourced income? a. If Maria Gamboa assumes a 50% payout rate from each subsidiary, calculate the additional taxes due or excess foreign tax credits on foreign-sourced income from Belize individually in the following table: Round to the nearest dollar.) Subsidiary Income Statement Earnings before taxes Less corporate income taxes Net income Distributed earnings Less withholding taxes on dividendsL Net dividend remitted to U.S. parent Belize Costa Rica Combined 1,900,000
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