Loopholes > Federal > Limitation on Tax for Individuals Selling CFC Stock
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Limitation on Tax for Individuals Selling CFC Stock

IRC §1248(b)

Limits the tax on the dividend portion of gain from the sale of Controlled Foreign Corporation (CFC) stock to the amount of U.S. tax that would have been paid if the CFC were a domestic corporation.

Eligibility

Individuals who are U.S. persons owning 10% or more of a CFC and have held the stock as a capital asset for more than one year.

Frequently Asked Questions

Who is eligible for the Limitation on Tax for Individuals Selling CFC Stock?

Individuals who are U.S. persons owning 10% or more of a CFC and have held the stock as a capital asset for more than one year.

How does the Limitation on Tax for Individuals Selling CFC Stock work?

Limits the tax on the dividend portion of gain from the sale of Controlled Foreign Corporation (CFC) stock to the amount of U.S. tax that would have been paid if the CFC were a domestic corporation.

What law authorizes the Limitation on Tax for Individuals Selling CFC Stock?

The Limitation on Tax for Individuals Selling CFC Stock is authorized under IRC §1248(b) of the Internal Revenue Code (Title 26, United States Code).

Statutory Text — IRC §1248

Source: Internal Revenue Code, Title 26, United States Code

§ 1248. Gain from certain sales or exchanges of stock in certain foreign corporations(a) General ruleIf—(1) a United States person sells or exchanges stock in a foreign corporation, and (2) such person owns, within the meaning of section 958(a), or is considered as owning by applying the rules of ownership of section 958(b), 10 percent or more of the total combined voting power of all classes of stock entitled to vote of such foreign corporation at any time during the 5-year period ending on the date of the sale or exchange when such foreign corporation was a controlled foreign corporation (as defined in section 957), then the gain recognized on the sale or exchange of such stock shall be included in the gross income of such person as a dividend, to the extent of the earnings and profits of the foreign corporation attributable (under regulations prescribed by the Secretary) to such stock which were accumulated in taxable years of such foreign corporation beginning after December 31, 1962, and during the period or periods the stock sold or exchanged was held by such person while such foreign corporation was a controlled foreign corporation. For purposes of this section, a United States person shall be treated as having sold or exchanged any stock if, under any provision of this subtitle, such person is treated as realizing gain from the sale or exchange of such stock. (b) Limitation on tax applicable to individualsIn the case of an individual, if the stock sold or exchanged is a capital asset (within the meaning of section 1221) and has been held for more than 1 year, the tax attributable to an amount included in gross income as a dividend under subsection (a) shall not be greater than a tax equal to the sum of—(1) a pro rata share of the excess of—(A) the taxes that would have been paid by the foreign corporation with respect to its income had it been taxed under this chapter as a domestic corporation (but without allowance for deduction of, or credit for, taxes described in subparagraph (B)), for the period or periods the stock sold or exchanged was held by the United States person in taxable years beginning after December 31, 1962, while the foreign corporation was a controlled foreign corporation, adjusted for distributions and amounts previously included in gross income of a United States shareholder under section 951, over (B) the income, war profits, or excess profits taxes paid by the foreign corporation with respect to such income; and (2) an amount equal to the tax that would result by including in gross income, as gain from the sale or exchange of a capital asset held for more than 1 year, an amount equal to the excess of (A) the amount included in gross income as a dividend under subsection (a), over (B) the amount determined under paragraph (1).

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