1
Total Mentions
1
Documents
0
Connected Entities
Organization referenced in documents
EFTA00292277
ection for an individual United States Shareholder to be taxed as a corporation for purposes of Subpart F income and certain tax credits relating to GILTI income. Passive Foreign Investment Company. U.S. tax law contains special provisions dealing with PFICs. A PFIC is defined as any foreign corporati
No connected entities