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Guidance on Passive Foreign Investment Companies

tax-irs · IRS · Rule · Published 2021-01-15 · Effective 2021-01-14 · 86 FR 4516

Document

Document number
2020-27009
Federal Register citation
86 FR 4516
CFR reference
26 CFR 1
Type
Rule
Action
Final regulations.
Category
tax-irs
Sub-agency
IRS
Publication date
2021-01-15
Effective date
2021-01-14
Treasury docket
TD 9936

Abstract

This document contains final regulations regarding the determination of whether a foreign corporation is treated as a passive foreign investment company ("PFIC") for purposes of the Internal Revenue Code ("Code"), and the application and scope of certain rules that determine whether a United States person that indirectly holds stock in a PFIC is treated as a shareholder of the PFIC. The regulations affect United States persons with direct or indirect ownership interests in certain foreign corporations.

Source

Authoritative
Federal Register document
Machine
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