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The Supreme Administrative Court of Finland (Korkein hallinto-oikeus) gave its decision on 15 February 2010 in the case of KHO:2010:7 and held that the tax withheld on dividends from Liechtenstein was not creditable against the tax imposed in Finland on income of a controlled foreign company (CFC). Details of the decision are summarized below. (a) Facts. A was a resident of Finland who fully owned the share capital of B Ltd., a company resident in Liechtenstein. The Finnish tax authorities had treated B. Ltd. as a CFC and taxed A for its undistributed profits in 1999 and 2000. A had...