specified passive category income
Defined in 1 place of the United States Code.
The term “specified passive category income” means—
(I) dividends from a DISC or former DISC (as defined in section 992(a)) to the extent such dividends are treated as income from sources without the United States, and
(II) distributions from a former FSC (as defined in section 922) out of earnings and profits attributable to foreign trade income (within the meaning of section 923(b)) or interest or carrying charges (as defined in section 927(d)(1)) derived from a transaction which results in foreign trade income (as defined in section 923(b)).
Source
- 2013–present26 U.S.C. § 904Internal Revenue Code · Limitation on credit · in this section
The term "specified passive category income" means—
(I) dividends from a DISC or former DISC (as defined in section 992(a)) to the extent such dividends are treated as income from sources without the United States, and
(II) distributions from a former FSC (as defined in section 922) out of earnings and profits attributable to foreign trade income (within the meaning of section 923(b)) or interest or carrying charges (as defined in section 927(d)(1)) derived from a transaction which results in foreign trade income (as defined in section 923(b)).
Any reference in subclause (II) to section 922, 923, or 927 shall be treated as a reference to such section as in effect before its repeal by the FSC Repeal and Extraterritorial Income Exclusion Act of 2000.
Source
- 2007–202526 U.S.C. § 904Internal Revenue Code · Limitation on credit · in this section
The term “specified passive category income” means—
(I) dividends from a DISC or former DISC (as defined in section 992(a)) to the extent such dividends are treated as income from sources without the United States,
(II) taxable income attributable to foreign trade income (within the meaning of section 923(b)),1 and
(III) distributions from a FSC (or a former FSC) out of earnings and profits attributable to foreign trade income (within the meaning of section 923(b)) 1 or interest or carrying charges (as defined in section 927(d)(1)) 1 derived from a transaction which results in foreign trade income (as defined in section 923(b)).1
Source
- 2006–200726 U.S.C. § 904Internal Revenue Code · Limitation on credit · in this section