Skip to content

foreign tax credit

§ 1.904(i)-0 Outline of regulation provisions.

26 C.F.R. Part 1 — Income Taxes · 2026 edition · updated 2026-10-04 · United States

This section lists the headings for § 1.904(i)-1.

§ 1.904(i)-1 Limitation on use of deconsolidation to avoid foreign tax credit limitations. (a) General rule. (1) Determination of taxable income. (2) Allocation. (b) Definitions and special rules. (1) Affiliate. (i) Generally. (ii) Rules for consolidated groups. (iii) Exception for newly acquired affiliates. (2) Includible corporation. (c) Taxable years. (d) Consistent treatment of foreign taxes paid. (e) Effective date.

[T.D. 9371, 72 FR 72603, Dec. 21, 2007]

Get a plain-English answer with a citation back to this text.

Ask AI about this code
▸Contents — 26 C.F.R. Part 1 — Income Taxes

GoCodebook provides public access, search, citation, multilingual explanation, and practical interpretation of legally adopted building regulations. It is not a substitute for the official ICC or California code publications.