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Export Incentive Planning. Export Incentive Planning. Are you aware of the benefits of forming an IC-DISC? An Interest Charge Domestic International Sales  

The Interest-Charge Domestic International Sales Corporation, more commonly known as the IC-DISC, is an export incentive available for U.S. manufacturers and distributors. The IC-DISC allows certain U.S. businesses to reduce their overall tax liability through a commission mechanism. The IC-DISC is an entity which serves as a vehicle for export tax savings. Under economic pressure from the World Trade Organization ("WTO"), Congress over the years has repealed various trade incentives.

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A properly executed IC-DISC isn’t taxable at the entity level. What Is an IC-DISC? An IC-DISC is a domestic corporation that has elected to be an IC-DISC and its election is still in effect. The IC-DISC election is made by filing Form 4876-A, Election To Be Treated as an Interest Charge DISC. Generally, an IC-DISC is not taxed on its income. Shareholders of an IC-DISC are taxed on its income when the income With the repeal of extra-territorial income exclusion (“ETI”), the Service began to see the re-emergence of the domestic international sales corporation (“DISC”) in the form of an interest charge DISC (“IC-DISC”).

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Generally, an IC-DISC is not taxed on its income. Shareholders of an IC-DISC are taxed on its income when the income With the repeal of extra-territorial income exclusion (“ETI”), the Service began to see the re-emergence of the domestic international sales corporation (“DISC”) in the form of an interest charge DISC (“IC-DISC”). The DISC provisions provide that the DISC, itself, is not subject to taxes imposed by subtitle A (Income Taxes).

15 Oct 2016 Learn about ic-disc basics and how such an arrangement can result in a tax savings for companies that export their products | Fresno CPA.

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The IC-DISC is an entity which serves as a vehicle for export tax savings. Under economic pressure from the World Trade Organization ("WTO"), Congress over the years has repealed various trade incentives. However, the IC-DISC, added to the Internal Revenue Code in 1984, has never been challenged by the WTO. 2021-04-05 · IC-DISC Distributions -- The IC-DISC generally must distribute cash to its shareholders in the form of a dividend on a periodic basis.

• Commission DISC is a “paper” company set up by an exporter to collect commissions on export sales.
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An IC-DISC reduces its shareholders' income tax liability by converting ordinary income from sales to foreign unrelated parties into qualified dividend income. An IC-DISC must be set up as a corporate entity (exempt from federal income tax under Sec. 991) separate from the related producer, manufacturer, reseller, or exporter.

These have become favored as a result of the lower tax rate on dividends received from domestic corporations at the 20% capital gains rate. Taxation of IC-DISC. Congress designed IC-DISC as a mean by which U.S exporter could borrow funds from the U.S treasury. An IC-DISC is a US domestic corporation that meets certain requirements under US tax law and has made a valid IC-DISC election. The IC-DISC incentive is available to almost any US taxpayer—individuals, C Corporations, S Corporations, partnerships, or LLCs—as long as they have qualifying exports.