Abstract

This letter to the Treasury and the IRS is in response to Notice 2019-30’s request for recommendations for the 2019-2020 Priority Guidance Plan on tax issues that should be addressed through regulations, revenue rulings, revenue procedures, notices, and other published administrative guidance. Many of the recommendations concern profit shifting by multinationals. The letter provides extensive and specific suggestions for a number of international tax areas including: -- Sourcing rules (§§863, 864, and 865 in particular), -- Entity classification rules (Reg §301.7701-1(a)(2)), -- Subpart F manufacturing branch rule (Reg §1.954-3(b)), and -- Application of tax treaties (Reg §1.894-1(d)).

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