Mr Damon Lyon

Damon Lyon

Updates

Corporate Tax

Tax reform insight: new foreign tax credit rules may warrant restructuring foreign branches
USA | 06 July 2018

The 2017 Tax Act added a separate foreign tax credit limitation category for income earned in a foreign branch. As a result, certain US groups may be limited in their ability to use foreign income taxes paid or accrued by a foreign branch as a credit against their US federal income tax liability. This new limitation could present a problem for taxpayers with losses in some foreign branches and income in other foreign branches.