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IRB 2025-09

Table of Contents
(Dated February 24, 2025)
(back to all IRBs)


This is the table of contents of Internal Revenue Bulletin IRB 2025-09. Click on an entry to view the entry. Items shown under "Highlights of This Issue" open summaries of each IRB-referenced document only. Scroll to Parts I, II, etc. to view the full text versions of each IRB-referenced document. Use the "Keyword Search" option of TouchTax to search the full text of all Internal Revenue Bulletins, including this IRB.

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HIGHLIGHTS OF THIS ISSUE

These synopses are intended only as aids to the reader in identifying the subject matter covered. They may not be relied upon as authoritative interpretations.

EMPLOYEE PLANS, EXCISE TAX

REG-110878-24 (page 979)

This document withdraws a notice of proposed rulemaking that appeared in the Federal Register on October 28, 2024, regarding coverage of certain preventive services under the Affordable Care Act.

ESTATE TAX, GIFT TAX

T.D. 10027 (page 897)

The final Treasury Decision provides guidance for section 2801, which was added to the Internal Revenue Code by section 301 of the Heroes Earnings Assistance and Relief Tax Act of 2008, Public Law 110–245 (122 Stat. 1624), effective June 17, 2008. Section 2801, which is the sole section of new Chapter 15 of subtitle B (relating to taxes on transfers of property), imposes a transfer tax on U.S. citizens and residents, including trusts, who receive, directly or indirectly, covered gifts and covered bequests from covered expatriates.

INCOME TAX

REG-107895-24 (page 972)

These proposed regulations provide guidance regarding the base erosion and anti-abuse tax imposed on certain large corporate taxpayers with respect to certain payments made to foreign related parties. The proposed regulations would affect corporations with substantial gross receipts that make payments to foreign related parties.

T.D. 10026 (page 878)

This document contains final regulations regarding certain disregarded payments that give rise to deductions for foreign tax purposes and potential double non-taxation of income. The final regulations affect domestic corporate owners that make or receive such payments. This document also announces additional transition relief for the application of the dual consolidated loss (“DCL”) rules to certain foreign taxes that are intended to ensure that multinational enterprises pay a minimum level of tax.

T.D. 10029 (page 936)

This document contains final regulations that identify transactions that are the same as, or substantially similar to, certain micro-captive transactions as listed transactions, a type of reportable transaction, and certain other micro-captive transactions as transactions of interest, another type of reportable transaction.

26 CFR 1.6011-10: Micro-captive listed transaction.; 26 CFR 1.6011-11: Micro-captive transaction of interest.



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