Amends the Internal Revenue Code to allow noncorporate shareholders of a foreign sales corporation a deduction of 100 percent of any dividend received from a corporation which is distributed out of earnings and profits attributable to foreign trade income for a period during which such corporation was a foreign sales corporation. Provides that certain dividend distributions are not deductible.
Introduced in House
Introduced in House
Referred to House Committee on Ways and Means.
checking server…
Ask anything about this bill. The AI reads the full text to answer.
Enter to send · Shift+Enter for new line