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Final U.S. Regulations on Single-Entity Treatment of Consolidated Groups for Specific Purposes

28 February 2023

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Approved Changes

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United States

The U.S. IRS and Treasury have issued the final regulations Single-Entity Treatment of Consolidated Groups for Specific Purposes (T.D. 9973), which were published in the Federal Register on 23 February 2023. The final regulations concern the treatment of the members of a consolidated group as a single U.S. shareholder for the purpose of applying section 951(a)(2)(B) with respect to CFC-to-CFC distributions of previously taxed earnings and profits (PTEP) under section 959(b) (section 959(b) distributions). The final regulations are unchanged from the proposed version of the regulations published in December 2022. See below for the summary and effective/applicability date as provided...