This text of North Dakota § 57-38.4-01 (Definitions) is published on Counsel Stack Legal Research, covering North Dakota primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
As used in this chapter, unless the context or subject matter otherwise requires:
1."Affiliated corporation" means a parent corporation and any corporation of which more
than fifty percent of the voting stock is owned directly or indirectly by the parent
corporation or another member of the water's edge group.
2."Existing corporation" means a corporation that filed a North Dakota income tax return
for any year after taxable year 1979 or was a successor to or unitary with a corporation
that filed a North Dakota income tax return for any year after taxable year 1979.
3."Foreign dividends" means any dividend received by a member of the water's edge
group from any affiliated corporation incorporated outside the fifty states and District of
Columbia, including amounts included in income comp
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As used in this chapter, unless the context or subject matter otherwise requires:
1. "Affiliated corporation" means a parent corporation and any corporation of which more
than fifty percent of the voting stock is owned directly or indirectly by the parent
corporation or another member of the water's edge group.
2. "Existing corporation" means a corporation that filed a North Dakota income tax return
for any year after taxable year 1979 or was a successor to or unitary with a corporation
that filed a North Dakota income tax return for any year after taxable year 1979.
3. "Foreign dividends" means any dividend received by a member of the water's edge
group from any affiliated corporation incorporated outside the fifty states and District of
Columbia, including amounts included in income computed under sections 951
through 954 of the Internal Revenue Code.
4. "Income from 80/20 corporations" means net book income after taxes of a corporation
which is incorporated in the United States and eligible to be included in the federal
consolidated return and which has twenty percent or less of its property and payroll as
determined by factoring under chapter 57-38.1 assigned to locations inside the fifty
states and the District of Columbia. For purposes of determining eligibility for inclusion
in a federal consolidated return under this subsection, the eighty percent stock
ownership requirements of section 1504 of the Internal Revenue Code shall be
reduced to ownership of over fifty percent of the voting stock directly or indirectly
owned or controlled by an includable corporation.
5. "New corporation" means a corporation that has not filed an income tax return in North
Dakota for any year after the tax year 1979. A new corporation does not include a
corporation which is a successor to or which is affiliated with a corporation that filed an
income tax return in North Dakota for any year after the tax year 1979. A new
corporation does not include a business reorganization or acquisition, except a
corporation with no previous activity in North Dakota which acquires an existing
corporation and increases and maintains the threshold activity of the existing
corporation by twenty-five percent or more shall be treated as a new corporation.
6. "Threshold activity" means the yearly average combined property and payroll in North
Dakota of a corporation and its affiliates for the previous three years.
7. "Water's edge group" includes the following entities:
a. Any affiliated corporation incorporated in the United States or a possession of the
United States, as described in sections 931 through 936 of the Internal Revenue
Code. Corporations incorporated in the United States must be eligible to be
included in a federal consolidated return and must have more than twenty percent
of its property and payroll, as determined by factoring under chapter 57-38.1,
assigned to locations inside the fifty states, the District of Columbia, and
possessions of the United States. For purposes of determining eligibility for
inclusion in a federal consolidated return under this subsection, the eighty percent
stock ownership requirements of section 1504 of the Internal Revenue Code shall
be reduced to ownership of over fifty percent of the voting stock directly or
indirectly owned or controlled by an includable corporation.
b. Domestic international sales corporations, as described in sections 991 through
994 of the Internal Revenue Code, and foreign sales corporations, as described
in sections 921 through 927 of the Internal Revenue Code.
c. Export trade corporations, as described in sections 970 through 972 of the
Internal Revenue Code.
d. Foreign corporations deriving gain or loss from a disposition of a United States
real property interest to the extent recognized under section 897 of the Internal
Revenue Code.
e. Any corporation incorporated outside the United States if over fifty percent of its
voting stock is owned directly or indirectly by an affiliated corporation and if more
than twenty percent of the average of its payroll and property is assignable to a
location within the United States.
8. "Worldwide combined report" means a combined report with respect to a unitary
affiliated group irrespective of the country or countries in which any member of the
affiliated group is incorporated or conducts business activity.