Virginia Administrative Code
Title 23 - TAXATION
Agency 10 - DEPARTMENT OF TAXATION
Chapter 120 - Corporation Income Tax
Section 23VAC10-120-330 - Prohibition of worldwide consolidation or combination

Universal Citation: 3 VA Admin Code 10-120-330

Current through Register Vol. 41, No. 3, September 23, 2024

A consolidated or combined return may not include a controlled foreign corporation the income of which is derived from sources without the United States.

1. A controlled foreign corporation is a corporation which:

a. is organized under the laws of a foreign country, and

b. has its commercial domicile in a foreign country, and

c. is an affiliate of one or more corporations having income from Virginia sources.

2. The income of a controlled foreign corporation is derived from sources without the United States if:

a. such controlled foreign corporation is not subject to income tax under the laws of the United States, and

b. dividends paid by such controlled foreign corporation would qualify as "income from foreign sources" under § 58.1-302 of the Code of Virginia.

Statutory Authority

§§ 58.1-203 and 58.1-443 of the Code of Virginia.

Disclaimer: These regulations may not be the most recent version. Virginia may have more current or accurate information. We make no warranties or guarantees about the accuracy, completeness, or adequacy of the information contained on this site or the information linked to on the state site. Please check official sources.
This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.