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John, a U.S. citizen, owns 100% of FC, a CFC. Assume FC has subpart F income which must be reported on his U.S. individual tax
John, a U.S. citizen, owns 100% of FC, a CFC. Assume FC has subpart F income which must be reported on his U.S. individual tax return, Form 1040. If FC is from a country with a tax treaty with the U.S. which treaty has an extensive exchange of information provision, is the subpart F income eligible for the more favorably taxed qualified dividend income rates?
Yes
No
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