Ill. Admin. Code tit. 86, § 100.2668 - Subtraction for Dividends from Controlled Foreign Corporations (IITA Section 203(b)(2)(Z))
a)
Under Internal Revenue Code section 965(e), the taxable income of a shareholder
of a controlled foreign corporation (CFC) may not be less than the
"nondeductible CFC dividends" received from that CFC, as defined in IRC section
965(e)(3). If the shareholder's federal net income would otherwise be less than
the nondeductible CFC dividends, the shareholder carries over the excess of its
nondeductible CFC dividends over the amount of its federal taxable income
computed without regard to IRC section 965(e) as a net operating loss under IRC
section 172.
b) IITA Prior to PA
97-507. Under IITA Section 203(b), the base income of a corporation for a
taxable year is its taxable income for the year, as properly reportable for
federal income tax purposes, after modifications in IITA Section 203(b)(2).
Under IITA Section 203(b)(2)(D), any net operating loss deduction claimed by a
corporation under IRC section 172 for a loss incurred in a taxable year ending
on or after December 31, 1986, is added back to the corporation's taxable
income. Under IITA Section 207, the net loss of a taxpayer (other than an
individual) for a taxable year is its taxable income for the year, as properly
reportable for federal income tax purposes, after modifications in IITA Section
203(b)(2). As a result, a corporation whose nondeductible CFC dividends
exceeded its federal taxable income computed without regard to IRC section
965(e) for a taxable year would receive no tax benefit from the deductions or
losses that caused the excess, because those deductions or losses could not
reduce its federal taxable income in the year incurred and any resulting IRC
section 172 deduction would be added back to taxable income in the carryover
years under IITA Section 203(b)(2)(D).
c) In order to allow a corporation the
benefit of deductions otherwise disallowed by IRC section 965(e) and IITA
Section 203(b)(2)(D), PA 97-507 added IITA Section 203(b)(2)(Z) to allow a
subtraction for the difference between the nondeductible controlled
foreign corporation dividends under IRC section 965(e)(3) over the taxable
income of the taxpayer, computed without regard to IRC section 965(e)(2)(A),
and without regard to any net operating loss deduction. IITA Section
203(b)(2)(Z) applies to all taxable years, and is exempt from automatic sunset
under the provisions of Section 250.
Notes
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