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Paper #026953 :: Tax Incentives
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An assessment of tax benefit and wealth maximizing models associated with export earnings and IRA-derived benefits.

Written in 2002; 3,276 words; 5 sources; MLA; $ 94.95

Paper Summary:

This paper discusses how a Federal Tax Court decision in 1996 opened the door for Subchapter S Corporations to export goods produced in the United States to selected countries through a foreign sales corporation (FSC). It looks at how the court ruling also permitted an individual retirement account (IRA) of a Subchapter S Corporation owner to be the owner of the FSC and how this structure made it possible for individuals to benefit both from export incentive tax reductions through an FSC and tax benefits available through an IRA. It researches various models designed to maximize federal income tax-related benefits and wealth deriving from these developments.

Outline
Introduction
The Subchapter S Corporation IRA/FSC Model
The Subchapter S Corporation Direct Export Model
The Subchapter C Corporation Direct Export Model
The Subchapter C Corporation FSC Subsidiary Model
Postulated Theory and Hypotheses
Analysis of the Two Postulated Hypotheses
Discussion
Conclusion

From the Paper:

"Subchapter S Corporations always have had the authority to engage in the export of goods to foreign countries. No special benefits accruing directly from profits on exports, however, were available to the owners of Subchapter S Corporations. Rather, the benefit to the owners of such corporations was the ability of a Subchapter S Corporation to elect to be taxed as individual owners, as opposed to being taxed as a corporation. Thus, the owners of a Subchapter S Corporation making such an election would benefit to the extent that individual tax rates were lower that the applicable corporate tax rate, as well as to the extent that other incentives initiated by government to spur exports led to increased profits on export sales."

Tags: subchapter S corporations foreign corporation retirement

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