Department of Treasury August 17, 2006 – Federal Register Recent Federal Regulation Documents

Submission for OMB Review; Comment Request
Document Number: E6-13573
Type: Notice
Date: 2006-08-17
Agency: Department of the Treasury, Department of Treasury
Submission for OMB Review; Comment Request
Document Number: E6-13572
Type: Notice
Date: 2006-08-17
Agency: Department of the Treasury, Department of Treasury
Treatment of Services Under Section 482 Allocation of Income and Deductions From Intangibles Stewardship Expense
Document Number: E6-13530
Type: Proposed Rule
Date: 2006-08-17
Agency: Internal Revenue Service, Department of Treasury, Department of the Treasury
This document contains a notice of public hearing on proposed regulations relating to the treatment of controlled services transactions under section 482.
Determination of Interest Expense Deduction of Foreign Corporations
Document Number: E6-13409
Type: Proposed Rule
Date: 2006-08-17
Agency: Internal Revenue Service, Department of Treasury, Department of the Treasury
In the Rules and Regulations section of this issue of the Federal Register, the IRS is issuing temporary regulations under sections 882 and 884 relating to the determination of the interest expense deduction of foreign corporations engaged in a trade or business within the United States. These regulations update the 1996 final interest expense allocation rules for foreign corporations and take into account changes in the foreign banking industry. The rule changes are necessary to conform the final regulations more closely to current operating conditions in the foreign banking industry, and to harmonize the deemed earnings repatriation from a foreign corporation's trade or business within the United States, with the manner in which dividends are repatriated from U.S. resident companies to their foreign shareholders. These regulations are expected to simplify compliance burdens for many foreign corporations that allocate interest expense to effectively connected income and provide greater latitude to taxpayers in determining when their effectively connected earnings are treated as remitted. The text of these regulations also serves as the text of these proposed regulations.
Determination of Interest Expense Deduction of Foreign Corporations
Document Number: E6-13402
Type: Rule
Date: 2006-08-17
Agency: Internal Revenue Service, Department of Treasury, Department of the Treasury
This document contains revised Income Tax Regulations relating to the determination of the interest expense deduction of foreign corporations and applies to foreign corporations engaged in a trade or business within the United States. This action is necessary to conform the rules to subsequent U.S. Income Tax Treaty agreements and to adopt changes to facilitate improved administrability for taxpayers and the IRS.
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