Gross up for deemed paid foreign tax credit
Source
(Added Pub. L. 87–834, § 9(b),Notes
Amendments
Effective Date of 2017 Amendment
Effective Date of 1976 Amendment
Effective Date
“The amendments made by this section [enacting this section and amending sections 535, 545, 861, 901, and 902 of this title] shall apply—
in respect of any distribution received by a domestic corporation after
in respect of any distribution received by a domestic corporation before
For purposes of paragraph (2), a distribution made by a foreign corporation out of its profits which are attributable to a distribution received from a foreign subsidiary to which [former] section 902(b) applies shall be treated as made out of the accumulated profits of a foreign corporation for a taxable year beginning before