REG-106418-05 |
February 13, 2006 |
Notice of Proposed Rulemaking by Cross-Reference to
Temporary Regulations Guidance Under Subpart F
Relating to Partnerships
Internal Revenue Service (IRS), Treasury.
Notice of proposed rulemaking by cross-reference to temporary regulations.
In this issue of the Bulletin, the IRS is issuing temporary regulations
(T.D. 9240) that provide rules for determining whether a controlled foreign
corporation’s (CFC’s) distributive share of partnership income
is excluded from foreign personal holding company income under the exception
contained in section 954(i). The regulations will affect CFCs that are qualified
insurance companies, as defined in section 953(e)(3), that have an interest
in a partnership and U.S. shareholders of such CFCs. The text of those temporary
regulations also serves as the text of these proposed regulations.
Written or electronic comments and requests for a public hearing must
be received by April 17, 2006.
Send submissions to: CC:PA:LPD:PR (REG-106418-05), room 5203, Internal
Revenue Service, PO Box 7604, Ben Franklin Station, Washington, DC 20044.
Submissions may be hand-delivered between the hours of 8 a.m. and 4 p.m.
to CC:PA:LPD:PR (REG-106418-05), Courier’s Desk, Internal Revenue Service,
1111 Constitution Avenue, NW, Washington, DC, or sent electronically, via
the IRS Internet site at www.irs.gov/regs or via the
Federal eRulemaking Portal at www.regulations.gov (IRS-REG-106418-05).
FOR FURTHER INFORMATION CONTACT:
Concerning the proposed regulations, Kate Y. Hwa, (202) 622-3840; concerning
submissions of comments, Treena Garrett, (202) 622-3401 (not toll-free numbers).
SUPPLEMENTARY INFORMATION:
Temporary regulations in this issue of the Bulletin amend the Income
Tax Regulations (26 CFR Part 1) relating to the rules under section 954(i)
of the Internal Revenue Code (Code) for determining whether a controlled foreign
corporation’s (CFC’s) distributive share of partnership income
is excluded from foreign personal holding company income under the exception
contained in section 954(i). The text of the temporary regulations also serves
as the text of these proposed regulations. The preamble to the temporary
regulations explains the temporary regulations and these proposed regulations.
It has been determined that this proposed regulation is not a significant
regulatory action as defined in Executive Order 12866. Therefore, a regulatory
assessment is not required. It has also been determined that section 553(b)
of the Administrative Procedures Act (5 U.S.C. chapter 5) does not apply to
these regulations and, because the regulation does not impose a collection
of information on small entities, the Regulatory Flexibility Act (5 U.S.C.
chapter 6) does not apply. Pursuant to section 7805(f) of the Code, this notice
of proposed rulemaking will be submitted to the Chief Counsel for Advocacy
of the Small Business Administration for comment on its impact on small business.
Comments and Requests for Public Hearing
Before these proposed regulations are adopted as final regulations,
consideration will be given to any written (a signed original and eight (8)
copies) or electronic comments that are submitted timely to the IRS. The
IRS and the Treasury Department request comments on the clarity of the proposed
rules and how they can be made easier to understand. All comments will be
available for public inspection and copying. A public hearing will be scheduled
if requested in writing by any person that timely submits written comments.
If a public hearing is scheduled, notice of the date, time, and place for
the public hearing will be published in the Federal
Register.
The IRS and the Treasury Department have become aware of possible uncertainty
regarding the application of section 956 in certain transactions involving
foreign partnerships. The IRS and the Treasury Department therefore also
request comments regarding the proper application of section 956 in the case
of a loan by a CFC to a foreign partnership in which one or more partners
are domestic corporations that are U.S. shareholders of the CFC. Specifically,
comments are requested regarding the circumstances, if any, under which the
loan to the foreign partnership should be considered to be the obligation
of such partners and, thus, U.S. property for purposes of section 956. The
IRS and the Treasury Department are particularly interested in the relevance
of (1) the consistent application of section 956 to CFC loans to foreign partnerships,
domestic partnerships, foreign branches, and disregarded entities of U.S.
shareholders; (2) the foreign partnership’s status as a foreign person;
(3) the partners’ liability for the partnership’s debt under local
foreign law; (4) the use of the loan proceeds in business activities located
inside or outside of the United States; and (5) the fact that the CFC earnings
loaned to the partnership would not have been deferred had they been earned
by the partnership.
The principal author of these regulations is Kate Y. Hwa of the Office
of the Associate Chief Counsel (International), IRS. However, other personnel
from the IRS and the Treasury Department participated in their development.
* * * * *
Proposed Amendments to the Regulations
Accordingly, 26 CFR part 1 is proposed to be amended as follows:
Paragraph 1. The authority citation for 26 CFR Part 1 continues to
read, in part, as follows:
Authority: 26 U.S.C. 7805 * * *
Par. 2. Section 1.954-2 is amended by revising paragraphs (a)(5)(ii)(C)
and (a)(5)(iii) Example 2 to read as follows:
§1.954-2 Foreign personal holding company income.
(a) * * *
(5) * * *
(ii) * * *
(C) [The text of the proposed amendment to §1.954-2(a)(5)(ii)(C)
is the same as the text for §1.954-2T(a)(5)(ii)(C) published elsewhere
in this issue of the Bulletin.]
(iii) * * *
Example 2. [The text of proposed §1.954-2(a)(5)(iii) Example
2 is the same as the text of §1.954-2T(a)(5)(iii) Example
2 published elsewhere in this issue of the Bulletin.]
* * * * *
Mark E. Matthews, Deputy
Commissioner for Services and Enforcement.
Note
(Filed by the Office of the Federal Register on January 13, 2006, 8:45
a.m., and published in the issue of the Federal Register for January 17, 2006,
71 F.R. 2496)
Internal Revenue Bulletin 2006-07
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