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@itonewbie @IRonMaN Would you be able to provide some insight on this?
Sorry, the closest I get to foreign corporations is taking a fishing trip to Canada.
I thinkk no, also, because there really hasn't been an ownership change when you look through evrything. But I would research throroughly and document.
I'd agree with Susan because of the attribution rule from §318(a)(2)(C).
Thanks for your response.
Thanks much.
It's dependent on whether the parent is foreign or domestic. There is no 382 if the parent is also a US company, because the parent files with US Co. If the parent is foreign, yes, there is 382 limitation for US Co tax attributes.
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