Tap any paragraph to write a margin note. Your notes collect in the Desk below the text and file under cases with @. The side-by-side margin rail opens on a larger screen.

Code · REGISTER · 2020-10-09 · Internal Revenue Service (IRS), Treasury · Notices

Notices. Correcting amendments

356 words·~2 min read·/register/2020/10/09/2020-20419

A research copy — for the controlling text, always check the official state or federal source. Not legal advice.

BILLING CODE 4830-01-P DEPARTMENT OF THE TREASURY Internal Revenue Service 26 CFR Part 1 [TD 9902] RIN 1545-BP15 Guidance Under Sections 951A and 954 Regarding Income Subject to a High Rate of Foreign Tax; Correcting Amendment AGENCY: Internal Revenue Service (IRS), Treasury. ACTION: Correcting amendments. SUMMARY: This document contains corrections to Treasury Decision 9902, which was published in the **Federal Register** on Thursday, July 23, 2020. Treasury Decision 9902 contained final regulations under the global intangible low-taxed income and subpart F income provisions of the Internal Revenue Code regarding the treatment of income that is subject to a high rate of foreign tax.
DATES: This correction is effective on October 9, 2020. FOR FURTHER INFORMATION CONTACT: Jorge M. Oben or Larry R. Pounders at
(202)317-6934 (not a toll-free number). SUPPLEMENTARY INFORMATION: Background The final regulations (TD 9902) that are the subject of this correction are issued under section 951A of the Code. Need for Correction As published, the final regulations (TD 9902) contain errors that need to be corrected. List of Subjects in 26 CFR Part 1 Income taxes, Reporting and recordkeeping requirements. Correction of Publication Accordingly, 26 CFR part 1 is corrected by making the following correcting amendments: PART 1—INCOME TAXES **Paragraph 1.** The authority citation for part 1 continues to read in part as follows: Authority: 26 U.S.C. 7805 * * * **Par. 2.** Section 1.951A-2 is amended by adding a sentence at the end of paragraph (c)(7)(viii)(E)( *2* )( *ii* ) to read as follows: § 1.951A-2 Tested Income and tested loss.
(c)* * *
(7)* * *
(viii)* * *
(E)* * * ( *2* ) * * * ( *ii* ) * * * Notwithstanding the rule set forth in this paragraph (c)(7)(viii)(E)( *2* )( *ii* ), a controlled foreign corporation is not a member of a CFC group if, as of the close of its CFC inclusion year, the controlled foreign corporation does not have a controlling domestic shareholder. Crystal Pemberton, Senior Federal Register Liaison, Publications and Regulations Branch, Legal Processing Division, Associate Chief Counsel (Procedure and Administration). [FR Doc. 2020-20419 Filed 10-8-20; 8:45 am]
Connectionstraces to 1
Traces to 1 document
2 references not yet in our index
  • 26 CFR 1
  • T.D. 9902
Citation graph
cites case law
Notices
Correcting amendments
Cite26 CFR 1
Treas. Dec.T.D. 9902
Cites 3Cited by 0 across 0 sources
★   the supreme law of the land   ★
Don't Tread on Me
E Pluribus Unum — out of many, one

"If you don't know your rights, you don't have any."

Marginalia · a citizen's law index
A research desk, not legal advice. Always read the cited source before relying on a summary.
Questions or an issue? support@self-law.org
disclaimerMarginalia is a research index, not a law firm. Nothing on this site is legal, tax, or financial advice and no attorney–client relationship is formed by using it. Statutes, regulations, and case law change; summaries, search results, AI output, and member posts may be incomplete, out of date, or wrong. Any interpretation drawn from material on this site should be validated by a licensed attorney in your jurisdiction before you act on it.