FAA 20153301F's Unfounded Recharacterization of Services Income as Sales Income for Subpart F Purposes | McDermott

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FAA 20153301F's Unfounded Recharacterization of Services Income as Sales Income for Subpart F Purposes

December 20, 2016

Read time: 2 min

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Lowell Yoder wrote this bylined article on IRS Field Attorney Advice which recharacterized referral fees earned by a controlled foreign corporation (CFC) as Subpart F sales income rather than services income. Mr. Yoder asserted that “the IRS’s analysis is untethered from the governing statute and regulations and as such is fundamentally flawed.”

Autoren

Lowell D. Yoder

Partner

Chicago

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