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Chapter 35

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Kaila Mae Tan Du
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27 views1 page

Chapter 35

Uploaded by

Kaila Mae Tan Du
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
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CHAPTER 35: DETERMINATION OF THE TAXABLE INCOME OF A CONTROLLED TAXPAYER

 Terms defined
o Organization
 Includes any organization of any kind (sole proprietorship, partnership, trust,
estate, corporation or association) irrespective of the place where organized,
where operated or where its trade/business is conducted and regardless of
whether domestic/foreign, whether exempt/taxable, whether affiliated or not
o Trade or business
 Any trade/business activity of any kind, regardless of whether or where
organized, whether owned individually or otherwise, and regardless of the place
where carried on
o Controlled
 Any kind of control, direct or indirect, whether legally enforceable and however
exercisable or exercised
 Reality of control which is decisive, not its form or the mode of exercise
 Presumption of control
 Arises if income/deductions have been arbitrarily shifted
o Controlled taxpayer
 Any one of two or more organizations, trades, or businesses owned or
controlled directly or indirectly by the same interests
o Group and Group of Controlled Taxpayers
 Organizations, trades or businesses owned or controlled by the same interests
o True Net Income
 Net income which would have resulted to the controlled taxpayer, had it in the
conduct of its affairs dealt with the other member/s of the group at arm’s length

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