N-18-46: Modifications to Definition of United States Property under Section 956
Internal Revenue Service (IRS) sent this bulletin at 05/04/2018 02:05 PM EDT![]() |
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Issue Number: N-2018-46Inside This IssueNotice 2018-46 allows taxpayers to continue to rely on the exception to United States property in §1.956-2T(b)(1)(xi) past its May 7, 2018, sunset date and announces the intention to publish regulations that will provide, similar to the rule in section 956(c)(2)(J), an exception from the definition of U.S. property for an obligation of a United States person to the extent the principal amount of the obligation does not exceed the fair market value of cash and readily marketable securities posted or received as margin or collateral for the obligation in the ordinary course of its business by a United States or foreign person that is a dealer in securities or commodities. It will appear in IRB 2018-21 dated May 21, 2018. Thank you for subscribing to IRS GuideWire, an IRS e-mail service. If you are a Tax Professional and have a specific concern about your tax situation, call the IRS Practitioner Priority Service 1-866-860-4259. This message was distributed automatically from the IRS GuideWire mailing list. Please Do Not Reply To This Message. |
