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United States | Proposed regulations on qualified business units include simplified elections for determining IRC Section 987 gain or loss, but restrict the recognition of losses

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United States

  • Proposed regulations under IRC Section 987 generally retain, with certain modifications, regulations that were finalized in 2016 and 2019.
  • The proposed regulations allow taxpayers to make various simplifying elections to ease compliance burdens, but may result in loss deferral and limit the taxpayer's ability to control the timing of IRC Section 987 losses.
  • The proposed regulations would apply to ta…

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