Indirect Ownership and Section 245A Foreign Tax Credit Disallowance Computations
For tax professionals navigating the complex intersection of the Transition Tax under I.R.C. § 965 and the dividends received deduction (DRD) under I.R.C. § 245A, the United States Tax Court’s recent decision in Varian Medical Systems, Inc. & Subs. v. Commissioner, 166 T.C. No. 8 (April 8, 2026), provides critical guidance. This opinion addresses the mechanical computation of Varian’s DRD under § 245A and the corresponding foreign tax credit (FTC) disallowance under § 245A(d)(1). The analysis clarifies the strict application of holding periods under § 246(c) to indirectly owned controlled foreign corporations (CFCs) and settles the denominator computation for the § 245A(d) FTC disallowance fraction in the context of a § 965(c) deduction.
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