FDII: the Missed Export Deduction

C-corp + foreign customers = 1/3rd lower corporate taxes

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Cut Corporate Tax With Int’l Customers

FDII (IRC Section 250) reduces the corporate rate on foreign-derived income from 21% to roughly 13%.

FDII has existed since 2018 but IRS data shows only 1 in 200 C-corporations claim it. The deduction is buried in complex international tax rules overlooked by generalist accountants. Thus, many profitable companies are overpaying their tax year after year.

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Article I: FDII In The Real World, Why So Few Claim It

The FDII deduction has existed since 2018 yet IRS statistics show very few companies are claiming it. Dig into the statistics showing why the deduction is so overlooked by so many.

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Article II: IRC §250 and Its Regulatory Foundations, From Statute to Compute

Computing the FDII deduction involves a glossary of acronyms like DEI, DTIR, FDDEI and GILTI. Dig into the legal and computational mechanics of the deduction to see how it is figured.

Read Article Two

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In 5-10 minutes, you can get a yes / no on FDII from an int’l tax attorney and an estimate of the likely savings. The consult is fast, free and there is no pressure, just information.

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