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Valley View Incorporated, a U.S. corporation, formed a wholly owned Mexican corporation to conduct manufacturing and selling operations in Mexico. In its first year of

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Valley View Incorporated, a U.S. corporation, formed a wholly owned Mexican corporation to conduct manufacturing and selling operations in Mexico. In its first year of operations, the Mexican corporation reported taxable income of Mex $5,000,000 and paid Mexican income tax of Mex $1,500,000 on its taxable income. In the second year of its operations, the Mexican subsidiary pays a dividend of Mex $2,000,000 to Valley View, Incorporated. The dividend is subject to a 10 percent withholding tax (Mex $200,000 ) under the U.S.-Mexico treaty. Assume the currency translation rate for both years is Mex $1:US$0.05. If Valley View, Incorporated only held 5 percent of the Mexican corporation stock, how much of the dividend from the Mexican corporation would be subject to U.S. taxation, and would any of the Mexican taxes imposed on the income distributed be creditable in the U.S

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