| 3. Assume that MNC Company (a U.S. tax payer) has four subsidiaries located in four different foreign countries. The country location, MNCs percentage ownership, nature of activity, and income before tax for each subsidiary; the income and withholding tax rates in the host countries; and the dividend paid by each subsidiary to MNC are summarized as follows: Foreign Entity | A | B | C | D | Country | Germany | Zambia | Hongkong | Cayman Is. | Legal form | Subsidiary | Subsidiary | Subsidiary | Subsidiary | MNCs ownership | 100% | 70% | 60% | 80% | Activity | Manufacturing | Manufacturing | Mining | Investment | Before-tax income | $100,000 | $120,000 | $150,000 | $200,000 | Income-tax rate | 30% | 35% | 16.5% | 0% | After-tax income | $70,000 | $78,000 | $125,250 | $200,000 | Gross-dividend paid to MNC | $70,000 | $40,000 | $40,000 | $0 | Withholding tax rate | 5% | 10% | 0% | 0% | Net dividend received by MNC | $66,500 | $36,000 | $40,000 | $0 | Determine 1) the amount of U.S. taxable income for each Entity A-D; 2) the foreign tax credit allowed in the United states, first by basket and then in total; 3) The net U.S. tax liability. Please answer the questions by filling in the following white blanks labelled with numbers, e.g. (1), (2), , (31). Step 1: Determine whether the foreign operation is a branch or subsidiary. All the foreign operations are subsidiaries. Step 2: Determine whether the subsidiaries are CFCs or not. Yes, all the foreign operations are CFCs. Step 3: Whether the subsidiaries are located in tax havens or not. Subsidiary location | Corporate income tax rate | Withholding tax rate on dividend | Effective tax rate on dividends | Tax haven or not (Yes or No) | Germany | 30% | 5% | (1) | (5) | Zambia | 35% | 10% | (2) | (6) | Hongkong | 16.5% | 0% | (3) | (7) | Cayman Is. | 0% | 0% | (4) | (8) | Step 4Whether the subsidiaries in tax haven have any subpart F income. Subsidiary location | Have subpart F income or not (Yes or No) | Germany | | Zambia | | Hongkong | (9) | Cayman Is. | (10) | |