RIC Interest-Related and Short-Term Capital Gain Dividend Exclusion
IRC §881(e)
Exempts foreign corporations from the 30% tax on interest-related dividends and short-term capital gain dividends received from a Regulated Investment Company (RIC).
Eligibility
Applies to dividends designated by the RIC as interest-related or short-term capital gain dividends, subject to certain CFC and related-party exceptions.
Frequently Asked Questions
Who is eligible for the RIC Interest-Related and Short-Term Capital Gain Dividend Exclusion?
Applies to dividends designated by the RIC as interest-related or short-term capital gain dividends, subject to certain CFC and related-party exceptions.
How does the RIC Interest-Related and Short-Term Capital Gain Dividend Exclusion work?
Exempts foreign corporations from the 30% tax on interest-related dividends and short-term capital gain dividends received from a Regulated Investment Company (RIC).
What law authorizes the RIC Interest-Related and Short-Term Capital Gain Dividend Exclusion?
The RIC Interest-Related and Short-Term Capital Gain Dividend Exclusion is authorized under IRC §881(e) of the Internal Revenue Code (Title 26, United States Code).
Statutory Text — IRC §881
Source: Internal Revenue Code, Title 26, United States Code
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Legal Sources
US Code (Official) — 26 USC §881 → Cornell Law Institute — 26 USC §881 → Search IRS.gov for IRC §881(e) → Treasury Regulations (26 CFR) →Discovered by: discovery_engine_v1
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