Guidance on the Definition of Domestically Controlled Qualified Investment Entities
other · IRS · Rule · Published 2024-04-25 · Effective 2024-04-25 · 89 FR 31618
Document
Document number
2024-08267
Federal Register citation
89 FR 31618
CFR reference
26 CFR 1
Type
Rule
Action
Final regulations.
Category
other
Sub-agency
IRS
Publication date
2024-04-25
Effective date
2024-04-25
Treasury docket
TD 9992
Abstract
This document contains final regulations that address the determination of whether a qualified investment entity is domestically controlled, including the treatment of qualified foreign pension funds for this purpose. In particular, these final regulations provide guidance as to when foreign persons are considered to hold directly or indirectly stock in a qualified investment entity. The final regulations primarily affect foreign persons that own stock in a qualified investment entity that would be a United States real property interest if the qualified investment entity were not domestically controlled.