Context

Context of "Gross-up" in connection with foreign tax credit allowed domestic corporations on dividends from a foreign subsidiary : hearings before the Committee on Ways and Means, House of Representatives, Eighty-sixth Congress, second session on H.R. 10859 and H.R. 10860, bills relating to the amount includible in gross income by domestic corporations receiving dividends from foreign corporations, and to the computation of the foreign tax credit allowable with respect to such income, April 11, 1960
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