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RIN ID: RIN 1545-AI32
TD ID: [TD 8862]
SUBJECT CATEGORY: Stock Transfer Rules
DOCUMENT SUMMARY: This document contains corrections to Treasury Decision 8862,
which was published in the Federal Register on Monday, January 24, 2000 [[Page 66501]]
(65 FR 3589). The corrections relate to the stock transfer rules under
section 367(b).
SUMMARY: Stock transfer rules; Correction,
The final regulations that are the subject of these corrections are under section 367 of the Internal Revenue Code.
As published, the final regulations contain errors that may prove to be misleading and are in need of clarification.
Income taxes, Reporting and recordkeeping requirements. PART 1INCOME TAXES
Accordingly, 26 CFR part 1 is corrected by making the following correcting amendments:
Paragraph 1. The authority citation for part 1 continues to read in part as follows:
Authority: 26 U.S.C. 7805 * * *
Par. 2. In Sec. 1.367(b)0, the entry for Sec. 1.367(b)1(c)(5) is revised to read as follows:
Sec. 1.367(b)0 Table of contents.
* * * * *
Sec. 1.367(b)1 * * *
(c) * * *
(5) Abbreviated notice provision for shareholders that make the election described in Sec. 1.367(b)3(c)(3).
* * * * *
Par. 3. Section 1.367(b)1, the heading for paragraph (c)(5) is revised to read as follows:
Sec. 1.367(b)1 Other transfers.
* * * * *
(c) * * *
(5) Abbreviated notice provision for shareholders that make the election described in Sec. 1.367(b)3(c)(3). * * *
* * * * *
Par. 4. Section 1.367(b)2 is amended as follows:
1. Paragraph (c)(1)(i) is amended by removing the language ``corporation, and'' and adding ``corporation; and'' in its place.
2. Paragraph (e)(4) Example 3, the penultimate sentence, the language ``56'' is removed and ``356'' is added in its place.
3. Revising the introductory text of paragraph (f)(4).
4. Revising the penultimate sentence of paragraph (j)(2)(i).
The revisions read as follows:
Sec. 1.367(b)2 Definition and special rules.
* * * * *
(f) * * *
(4) Closing of taxable year. In a reorganization described in
paragraph (f)(1) of this section, the taxable year of the foreign
transferor corporation shall end with the close of the date of the
transfer and, except as otherwise required under the Internal Revenue
Code (e.g. section 1502 and the regulations thereunder), the taxable
year of the acquiring corporation shall end with the close of the date
on which the transferor's taxable year would have ended but for the occurrence of the reorganization if
* * * * *
(j) * * *
(2) * * *
(i) * * * The exchange gain or loss recognized under this paragraph
(j)(2)(i) will increase or decrease the exchanging shareholder's
adjusted basis in the stock of the foreign corporation, including for
purposes of computing gain or loss realized with respect to the stock on the transaction. * * *
* * * * *
Par. 5. Section 1.367(b)3 is amended as follows:
1. Revising paragraph (b)(2).
2. In paragraph (d)(1), the first sentence, the language ``Unused
foreign tax credits allowable to the foreign acquired corporation under
section 906'' is removed and ``Excess foreign taxes under section
904(c) allowable to the foreign acquired corporation under section 906'' is added in its place.
The revision reads as follows:
Sec. 1.367(b)3 Repatriation of foreign corporate assets in certain nonrecognition transactions.
* * * * *
(b) * * *
(2) United States shareholder. For purposes of this section (and
for purposes of the other section 367(b) regulation provisions that
specifically refer to this paragraph (b)(2)), the term United States
shareholder means any shareholder described in section 951(b) (without
regard to whether the foreign corporation is a controlled foreign
corporation), and also any shareholder described in section
953(c)(1)(A) (but only if the foreign corporation is a controlled
foreign corporation as defined in section 953(c)(1)(B) subject to the rules of section 953(c)).
* * * * *
Par. 6. Section 1.367(b)4 is amended as follows:
1. In paragraph (a) the language ``another'' is removed in the first sentence and ``a'' is added in its place.
2. A new sentence is added after the first sentence of paragraph (a).
3. Paragraph (b)(1)(i)(B)(2) is revised.
4. Revising the first sentence of paragraph (d) (1).
The addition and revisions read as follows:
Sec. 1.367(b)4 Acquisition of foreign corporate stock or assets by
foreign corporation in certain nonrecognition transactions.
(a) * * * This section applies notwithstanding that the foreign
acquiring corporation and the foreign acquired corporation may be the
same corporation (such as in a section 368(a)(1)(E) reorganization). * * *
(b) * * *
(1) * * *
(i) * * *
(B) * * *
(2) Immediately after the exchange, the foreign acquiring
corporation or the foreign acquired corporation (if any, such as in a
transaction described in section 368(a)(1)(B) and/or section 351), is
not a controlled foreign corporation as to which the United States
person described in paragraph (b)(1)(i)(A) of this section is a section 1248 shareholder.
* * * * *
(d) * * * (1) In general. If income is not required to be included
under paragraph (b) of this section in a section 367(b) exchange
described in paragraph (a) of this section (noninclusion exchange)
then, for purposes of applying section 367(b) or 1248 to subsequent
exchanges and subject to the limitation of Sec. 1.367(b)2(d)(3)(iii)
(in the case of a transaction described in Sec. 1.367(b)3), the
determination of the earnings and profits attributable to an exchanging
shareholder's stock received in the noninclusion exchange shall
include a computation that refers to the exchanging shareholder's pro
rata interest in the earnings and profits of the foreign acquiring
corporation (and, in the case of a stock transfer, the foreign acquired
corporation) that accumulate after the noninclusion exchange, as well
as its pro rata interest in the earnings and profits of the foreign [[Page 66502]]
acquired corporation that accumulated before the noninclusion exchange. * * *
* * * * *
Par. 7. Section 1.367(b)5 is amended as follows:
1. Paragraph (a)(1) is amended by revising the first sentence.
2. Paragraph (f) is revised.
3. Paragraph (g), Example 1(ii)(B), the second sentence is amended by removing the language ``$60 and $0'' and by adding ``$0 and $60'' in its place.
4. Revising the fourth sentence of paragraph (g), Example 1(ii)(C) by removing the language ``from FC''.
5. Adding two new sentences after the fourth sentence of paragraph (g), Example 1(ii)(C).
6. Adding a new sentence at the end of paragraph (g), Example 2(ii)(C).
The additions and revisions read as follows:
Sec. 1.367(b)5 Distributions of stock described in section 355.
(a) * * * (1) Scope. This section provides rules relating to a
distribution described in section 355 (or so much of section 356 as
relates to section 355) and to which section 367(b) applies. * * * * * * * *
(f) Exclusion of deemed dividend from foreign personal holding
company income. In the event an amount is included in income as a
deemed dividend by a foreign corporation under paragraph (c) or (d) of
this section (including amounts received as an intermediate owner under
the rule of Sec. 1.367(b)2(e)(2)), such deemed dividend shall not be
included as foreign personal holding company income under section 954(c).
(g) * * *
Example 1. * * *
(ii) * * *
(C) * * * Under Sec. 1.367(b)2(e)(2), the $20 deemed dividend
is considered as having been paid by FC to FD, and by FD to USS,
immediately prior to the distribution. Under paragraph (f) of this
section, the deemed dividend is not included by FD as foreign
personal holding company income under section 954(c). * * *
Example 2. * * *
(ii) * * *
(C) * * * Under paragraph (f) of this section, the deemed
dividend is not included by FD as foreign personal holding company income under section 954(c).
Dale D. Goode,
Federal Register Liaison, Office of Special Counsel (Modernization and Strategic Planning).
[FR Doc. 0028433 Filed 11300; 8:45 am]
BILLING CODE 483001U
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