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Note 20 - Income Taxes
12 Months Ended
Jun. 30, 2025
Notes to Financial Statements  
Income Tax Disclosure [Text Block]

20.  INCOME TAXES

 

(Loss) / Income before provision for income taxes consists of the following:

 

  

For the Year Ended June 30,

 
  

2025

  

2024

 

United States

  (642)  (539)

International

  815   2,168 

Total

 $173  $1,629 

 

The components of the provision for income taxes are as follows:

 

  

For the Year Ended June 30,

 
  

2025

  

2024

 

Current:

        

Federal

 $(25) $76 

State

  5   2 

Foreign

  141   442 
  $121  $520 

Deferred:

        

Foreign

  47   (34)

Total

 $168  $486 

 

A reconciliation of income tax benefit compared to the amount of income tax expense that would result by applying the U.S. federal statutory income tax rate to pre-tax income is as follows:

 

  

For the Year Ended June 30,

 
  

2025

  

2024

 

Statutory federal tax rate

  21.00%  21.00%

State taxes, net of federal benefit

  0.11   0.75 

Permanent items and credits

  126.63   11.04 

Foreign rate differential

  (52.40)  (4.23)

Tax true-ups and adjustments

  14.27   - 

Other

  12.28   0.34 

Changes in valuation allowance

  14.70   0.93 

Effective rate

  136.59%  29.83%

 

The provision for income taxes has been determined based upon the tax laws and rates in the countries in which we operate. The Company is subject to income taxes in the U.S. and numerous foreign jurisdictions. Significant judgment is required in determining the provision for income taxes and income tax assets and liabilities, including evaluating uncertainties in the application of accounting principles and complex tax laws.

 

Due to the enactment of Tax Cuts and Jobs Act, the Company is subject to a tax on global intangible low-taxed income (GILTI). GILTI is a tax on foreign income in excess of a deemed return on tangible assets of foreign corporations. Companies subject to GILTI have the option to account for the GILTI tax as a period cost if and when incurred, or to recognize deferred taxes for temporary differences including outside basis differences expected to reverse as GILTI. The Company has elected to account for GILTI as a period cost, and therefore has included GILTI expense in its effective tax rate calculation for the year ended June 30, 2025.

 

The Company accrues penalties and interest related to unrecognized tax benefits when necessary as a component of penalties and interest expenses, respectively. The Company had no unrecognized tax benefits or related accrued penalties or interest expenses at June 30, 2025.

 

In assessing the ability to realize the deferred tax assets, management considers whether it is more likely than not that some portion or all of the deferred tax assets will not be realized. The ultimate realization of deferred tax assets is dependent upon the generation of future taxable income during the periods in which those temporary differences become deductible. Management considers the scheduled reversal of deferred tax liabilities, projected future taxable income, and tax planning strategies in making this assessment. Based on these criteria, management believes it is more likely than not the Company will not realize the benefits of the federal, state, and foreign deductible differences. Accordingly, a valuation allowance has been established against deferred tax assets recorded in the US and various foreign jurisdictions.

 

Temporary differences that give rise to a significant portion of deferred tax assets and deferred tax liabilities are as follows:

 

  

For the Year Ended June 30,

 
  

2025

  

2024

 

Deferred tax assets:

        

Net operating losses and credits

 $646  $599 

Inventory valuation

  75   75 

Right-of-use assets

  -   56 

Accrued vacation

  33   12 

Accrued expense

  42   142 

Fixed asset basis

  25   11 

Investment

  70   77 

General business credit

  39   14 

Other

  -   13 

Total deferred tax assets

 $930  $999 
         

Deferred tax liabilities:

        

Depreciation

 $(196) $(238)

Right-of-use assets

  (10)  (56)

Other

  (1)  (1)

Total deferred tax liabilities

 $(207) $(295)
         

Subtotal

  723   704 

Valuation allowance

  (642)  (580)

Net deferred tax assets

 $81  $124 
         

Presented as follows in the balance sheets:

        

Deferred tax assets

 $91  $124 

Deferred tax liabilities

  (10)  - 

Net deferred tax assets

 $81  $124 

 

The valuation allowance increased by $61 in Fiscal 2025 and decreased by $37 in Fiscal 2024.

 

At June 30, 2025, the Company had no federal net operating loss carry-forward and had state net operating loss carry-forward of $2,384, which expire through 2034. These carryovers may be subject to limitations under I.R.C. Section 382. In assessing the ability to realize the deferred tax assets, management considers whether it is more likely than not that some portion or all of the deferred tax assets will not be realized. The ultimate realization of deferred tax assets is dependent upon the generation of future taxable income during the periods in which those temporary differences become deductible. Management considers the scheduled reversal of deferred tax liabilities, projected future taxable income, and tax planning strategies in making this assessment. Based on these criteria, management believes it is more likely than not the Company will not realize the benefits of the federal, state, and foreign deductible differences. Accordingly, a valuation allowance has been established against deferred tax assets recorded in the US and various foreign jurisdictions.

 

Generally, U.S. federal, state, and foreign authorities may examine the Company’s tax returns for three years, four years, and five years, respectively, from the date an income tax return is filed. However, the taxing authorities may continue to adjust the Company’s net operating loss carry-forwards until the statute of limitations closes on the tax years in which the net operating losses are utilized. Foreign tax authorities are currently conducting audits of our subsidiaries in Malaysia and China.