• These shareholders (known as U.S. shareholders) are required to report their pro rata share of certain passive income of the corporation. — Abbr. CFC. IRC (26 USCA) §§ 951–964. [Cases: Internal Revenue 4119. C.J.S. Internal Revenue § 484.]
controlled foreign corporation
Tax. A foreign corporation in which more than 50% of the stock is owned by U.S. citizens who each own 10% or more of the voting stock.