SOI Tax Stats - Controlled Foreign Corporations |
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- Data are taken from Form 5471 - Information Return of U.S. Persons With Respect to Certain Foreign Corporations.
- For U.S. income tax purposes, a foreign corporation is "controlled" if U.S. shareholders own more than 50% of its outstanding voting stock.
- Data are also available for the One-Time Dividend Received Deduction reported on Form 8895.
Statistical Tables SOI Bulletin Articles
Statistical Tables
U.S. Corporations and Their Controlled Foreign Corporations
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Data Presented:
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Data Presented: Number, Assets, Receipts, Earnings, Taxes, Distributions, Subpart F Income, and Related Party Transactions
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Classified by:
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Selected NAICS Industrial Sector* |
Tax Years: |
2004 |
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Classified by: |
Selected Country of Incorporation |
Tax Years: |
2004 |
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Classified by: |
Selected Country of Incorporation and NAICS Industrial Sector* |
Tax Years: |
2004
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U.S. Corporations with Total Assets of $500 Million or More and Their 7,500 Largest Controlled Foreign Corporations
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Data Presented:
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Number, Assets, Receipts, Earnings, Taxes, Distributions, and Subpart F Income
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Classified by:
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Selected NAICS Industrial Sector* |
Tax Years: |
2002 2000 1998 1996 1994 1992 1988 |
U.S. Corporations with Total Assets of $500 Million or More and Their 7,500 Largest Controlled Foreign Corporations
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Data Presented:
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Number, Assets, Receipts, and Earnings, Standard Industrial Classification (SIC) and North American Industry Classification System (NAICS)
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Classified by: |
Selected NAICS Industrial Sector |
Tax Year: |
1998
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*Note: For Tax Years prior to 1998, industry data are presented by Standard Industry Classification (SIC). Industry data for Tax Years 1998 to present are presented by North American Industry Classification (NAICS)
SOI Bulletin Articles
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Page Last Reviewed or Updated: September 11, 2008