26 CFR 1.904(i)-0: (i)-0 Outline of regulation provisions.
Where this section sits in the code
- Title 26—Internal Revenue
- CHAPTER I—INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY
- SUBCHAPTER A—INCOME TAX
- PART 1—INCOME TAXES
This section lists the headings for § 1.904(i)-1.
§ 1.904(i)-1 Limitation on use of deconsolidation to avoid foreign tax credit limitations.
(a) General rule.
(1) Determination of taxable income.
(2) Allocation.
(b) Definitions and special rules.
(1) Affiliate.
(i) Generally.
(ii) Rules for consolidated groups.
(iii) Exception for newly acquired affiliates.
(2) Includible corporation.
(c) Taxable years.
(d) Consistent treatment of foreign taxes paid.
(e) Effective date.
Collected 2026-08-27T02:25:11Z. Source file · JSON