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IRB 2015-41

Table of Contents
(Dated October 13, 2015)
(back to all IRBs)


This is the table of contents of Internal Revenue Bulletin IRB 2015-41. 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.

INCOME TAX

This document is a notice of proposed rulemaking by cross-reference to a temporary regulation (TD 9743). These proposed regulations relating to determining when a complex contract provides for a dividend equivalent payment and provides rules for qualified derivatives dealers.

These proposed regulations propose standards to implement the exception to the “contemporaneous written acknowledgement” requirement for substantiating charitable contribution deductions of $250 or more. These proposed regulations provide rules concerning the time and manner for donee organizations to file information returns that report the required information about contributions (donee reporting).

This document contains proposed regulations that provide rules regarding the treatment as United States property of property held by a controlled foreign corporation (CFC) in connection with certain transactions involving partnerships. In addition, the Department of Treasury (Treasury Department) and the IRS are issuing temporary regulations under sections 954 and 956, the text of which also serves as the text of certain provisions of these proposed regulations.

Notice 2015–66 announces that the Department of the Treasury (Treasury) and the Internal Revenue Service (IRS) intend to amend regulations under sections 1471–1474 to extend the time that certain FATCA transitional rules will apply. Specifically, the amendments will extend: (1) the date for when withholding on gross proceeds and foreign passthru payments will begin; (2) the use of limited branches and limited foreign financial institutions (limited FFIs); and (3) the deadline for a sponsoring entity to register its sponsored entities and redocument such entities with withholding agents. In addition, in order to reduce compliance burdens on withholding agents that hold collateral as a secured party, the notice announces that Treasury and the IRS intend to amend the regulations under chapter 4 to modify the rules for grandfathered obligations in relation to collateral. The notice also provides information on the exchange of information by Model 1 IGA jurisdictions with respect to 2014.

This notice finalizes and supersedes Notice 2014–17. It provides a general rule that per capita distributions to Indian tribe members made from funds held in trust by the Secretary of the Interior (“Trust Account”) are excluded from the gross income of the members of the tribe receiving the per capita distributions. This notice also provides an exception to the general rule. Distributions to tribal members from a Trust Account will constitute gross income under 26 U.S.C. § 61 to the members of the tribe receiving the distributions if the Trust Account is used to mischaracterize taxable income as nontaxable per capita distributions.

Information Reporting on Minimum Essential Coverage. This notice provides guidance on issues under section 6055 of the Code. Comments are requested by November 16, 2015, on the application of the reasonable good cause rules under section 6724 of the Code to section 6055 reporting, in particular relating to TIN solicitation and reporting.

This notice explains the circumstances under which the 4-year replacement period under section 1033(e)(2) is extended for livestock sold on account of drought. The Appendix to this notice contains a list of counties that experienced exceptional, extreme, or severe drought conditions during the 12-month period ending August 31, 2015. Taxpayers may use this list to determine if an extension is available.

This document contains temporary regulations that provide rules regarding the treatment as United States property of property held by a controlled foreign corporation (CFC) in connection with certain transactions involving partnerships. In addition, the temporary regulations provide rules regarding when a CFC is considered to derive rents and royalties in the active conduct of a trade or business for purposes of determining foreign personal holding company income (FPHCI).

These regulations describes payments that are dividend equivalents for purposes of section 871(m) and explains how to calculation of the amount of a dividend equivalent. These proposed regulations also provide guidance regarding the amount of a dividend equivalent payment and withholding rules relating to these payments.

Final regulations providing guidance regarding the qualification of a transaction as a corporate reorganization under section 368(a)(1)(F) by virtue of being a mere change of identity, form, or place of organization of one corporation (F reorganization). Also final regulations relating to F reorganizations in which the transferor corporation is a domestic corporation and the acquiring corporation is a foreign corporation (an outbound F reorganization). These regulations will affect corporations engaging in transactions that could qualify as F reorganizations (including outbound F reorganizations) and their shareholders.

ADMINISTRATIVE

This procedure publishes the amounts of unused housing credit carryovers allocated to qualified states under section 42(h)(3)(D) of the Code for calendar year 2015.



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