Bloomberg BNA Tax & Accounting's unparalleled analysis of controlled foreign corporations (CFCs) under Subpart F of the Internal Revenue Code gives you a greater understanding of existing and forthcoming policies and developments. Practitioners will find in-depth interpretations along with practical approaches based on real-world scenarios. Our products offer comprehensive coverage of every major aspect of Subpart F, including Tax Reform Act, controlled foreign corporations, stock attribution, Section 951(a), and more. Also included are practice tools, source documents, and sample forms to fully equip you to deal with any transaction.