26 U.S.C. § 1373. Foreign income
- (a)(a)
S corporation treated as partnership, etc.
For purposes of subparts A and F of part III, and part V, of subchapter N (relating to income from sources without the United States)—
- (b)(b)
Recapture of overall foreign loss
For purposes of section 904(f) (relating to recapture of overall foreign loss), the making or termination of an election to be treated as an S corporation shall be treated as a disposition of the business.
(Added Pub. L. 97–354, § 2, Oct. 19, 1982, 96 Stat. 1682.)