Section 956: Avoiding the Deemed Dividend
IRC Section 956 covers the declaration and accounting of dividends when earnings from a controlled foreign corporation (CFC) are invested in US property that will produce income over a period of time. Are you aware of the exceptions that can be applied to avoid the deemed dividend payable in the US?
We’ll discuss the latest developments, the exceptions that can be applied, and how BlackLine’s Intercompany Hub can help your organization avoid additional taxation.
You will also learn:
- Who must comply with the regulations
- How a company can stay compliant
- The fines and penalties for non-compliance
- How BlackLine Intercompany Hub can help with the challenges of compliance