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Guidance Under Section 7874 Regarding Surrogate Foreign Corporations

tax-irs · IRS · Rule · Published 2009-06-12 · Effective 2009-06-12 · 74 FR 27920

Document

Document number
E9-13770
Federal Register citation
74 FR 27920
CFR reference
26 CFR 1
Type
Rule
Action
Final and temporary regulations.
Category
tax-irs
Sub-agency
IRS
Publication date
2009-06-12
Effective date
2009-06-12
Treasury docket
TD 9453

Abstract

This document contains final and temporary regulations under section 7874 of the Internal Revenue Code (Code) concerning the determination of whether a foreign corporation shall be treated as a surrogate foreign corporation. The temporary regulations primarily affect domestic corporations or partnerships (and certain parties related thereto), and certain foreign corporations that acquire substantially all of the properties of such domestic corporations or partnerships. The text of these temporary regulations serves as the text of the proposed regulations set forth in the notice of proposed rulemaking on this subject also published in this issue of the Federal Register.

Source

Authoritative
Federal Register document
Machine
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