New Mexico Administrative Code
Title 3 - TAXATION
Chapter 4 - CORPORATE INCOME TAXES
Part 1 - GENERAL PROVISIONS
Section 3.4.1.12 - FOREIGN SOURCE DIVIDENDS - PRIOR TO JANUARY 1, 2020
Universal Citation: 3 NM Admin Code 3.4.1.12
Current through Register Vol. 35, No. 18, September 24, 2024
A. Foreign source dividends, as the term is used under federal law, received by a corporation reporting to New Mexico as a separate entity are wholly or partially excludable from the corporation's base income as follows:
(1) Seventy percent of the
dividends included on lines 13 and 14, schedule C, federal form 1120 received
from corporations owned less than twenty percent by the reporting corporation
but only if those dividends would have been subject to the seventy percent
deduction under
26 U.S.C. Section
243(a)(1) had the payor of
the dividends been a domestic corporation.
(2) Eighty percent of the dividends included
on lines 13 and 14, schedule C, federal form 1120 received from corporations
owned twenty percent to eighty percent by the reporting corporation but only if
those dividends would have been subject to the eighty percent deduction under
26 U.S.C. Section
243(c) had the payor of the
dividends been a domestic corporation.
(3) One hundred percent of the dividends
included on lines 13 and 14, schedule C, federal form 1120 received from
corporations owned more than eighty percent by the reporting corporation but
only if those dividends would have been subject to the one hundred percent
deduction under
26 U.S.C. Section
243(a)(3) had the payor of
the dividends been a domestic corporation.
B. The exclusion of foreign source dividends set forth in 3.4.1.12 NMAC applies only so long as New Mexico's method of taxing foreign source dividends is unconstitutional.
C. Section 3.4.1.12 NMAC applies to taxable years beginning on or after January 1, 1997 but prior to January 1, 2020.
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