2017 Instructions for Form FTB 2416
Schedule of Included Controlled Foreign Corporations (CFC)
Revenue and Taxation Code (R&TC) Section 25110(a)(2)(A)(ii) provides that the income and apportionment factors of any Controlled Foreign Corporation (CFC) (as defined in Internal Revenue Code [IRC] Section 957) that has Subpart F income (defined in IRC Section 952) are to be included in the combined report of a taxpayer making a water’s-edge election.
Use form FTB 2416, Schedule of Included Controlled Foreign Corporations (CFC), to compute the net income and apportionment factors required to be included in the water’s‑edge combined report.
B. Controlled Foreign Corporation
In general, a foreign corporation is a corporation that is not created or organized in the U.S. or under the laws of the U.S. or any state.
A CFC is any foreign corporation that is more than 50% owned or considered to be owned per IRC Section 958(b) by U.S. shareholders.
For each CFC, the amounts included in income and the apportionment factors are determined by multiplying the total income and each component of the apportionment factors by a fraction. The numerator of the fraction is the current taxable year total Subpart F income defined in IRC Section 952 and the denominator is the current taxable year earnings and profits (E&P) as defined in IRC Section 964.
See R&TC Section 25110(a)(2) and the related regulations for more information.
Column (b) – Country of incorporation
Enter the country of incorporation in column (b). Use the list of country codes on form FTB 2416, Side 2.
Column (c) – Country of primary business activity
Enter the country in which the CFC conducts its primary trade or business in column (c). Use the list of country codes on form FTB 2416, Side 2. This country may be different from the country of incorporation.
Column (d) – Principal business activity (PBA) code
Enter the PBA code of the CFC. The PBA codes are listed on the Principal Business Activity Codes chart included in this booklet.
Column (e) – Subpart F income
In determining whether a CFC has Subpart F income, defined by IRC Section 952, for purposes of R&TC Section 25110(a)(2) and the regulations thereunder, the limitation and exclusions provided for in IRC Section 954(b) shall apply. However, IRC Section 952(c) shall not apply.
For these purposes, Subpart F income does not include income defined in IRC Sections 955 or 956.
Include both business and nonbusiness income as defined under R&TC Section 25120 for the current year.
If there is no Subpart F income, none of the income or factors of this CFC will be included in the water’s-edge combined report. See Fujitsu IT Holdings, Inc. vs. Franchise Tax Board (2004) 120 Cal. App. 4th 459.
Column (f) – Current year earnings and profits
E&P, as defined in IRC Section 964, includes both business and nonbusiness income for the current taxable year. In most cases, the E&P can be taken from federal Form 5471, Information Return of U.S. Persons With Respect To Certain Foreign Corporations, page 4, Schedule H, line 5d.
If there is no current E&P, stop. None of the income or factors of this CFC will be included in the water’s-edge combined report.
Column (g) – Percentage
The percentage may not exceed 100% or be less than zero.
Column (h) – Net income
Report the total net income as reflected on the CFC’s books and records, adjusted to conform to California tax law.
Column (i) – Net income included in the combined report
Enter total from column (i) on Form 100W, Side 1, line 7a.
Columns (j), (l), (n), and (p) – Apportionment factors
Determine the apportionment factors for the CFC to be included in the water’s-edge combined report including:
- Total sales everywhere, if using the single‑sales factor formula, or
- Total average property everywhere, rent expense everywhere, payroll everywhere, and sales everywhere, if using the three‑factor formula. Refer to the apportionment factor rules set forth in R&TC Sections 25128.7, 25128, and 25129 through 25137. See California Schedule R, Apportionment and Allocation of Income, for more information.