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A controlled foreign corporation (CFC) is incorporated in Country B, and is 100% owned by American Manufacturing Corporation. It purchases raw materials from its U.S. parent corporation, manufactures widgets, and sells 70% of the widgets to unrelated purchasers in Country A and 30% to unrelated purchasers in Country B. All widgets will be used in the countries in which they are purchased. The sales produce $100,000 of taxable income. The foreign-based company sales income reportable by American Manufacturing Corporation under the Subpart F rules is
Depreciable Cost
The total amount that can be depreciated over the life of an asset, typically the asset's cost minus its salvage value.
Salvage Value
The foreseen redemption value of an asset after its period of usability concludes.
Useful Life
The estimated time period that an asset is expected to be usable for its intended purpose.
Equipment Cost
The total amount spent to acquire, install, and prepare equipment for its intended use, including purchase price and associated expenses.
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