Search Results for keywords:"Dual Consolidated Loss"

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Search Results: keywords:"Dual Consolidated Loss"

  • Type:Rule
    Citation:90 FR 3003
    Reading Time:about 97 minutes

    The Department of the Treasury and the Internal Revenue Service (IRS) have issued final regulations related to certain payments and losses that aren't typically recognized for U.S. tax purposes, especially when it comes to international tax scenarios. These rules aim to prevent tax avoidance strategies where companies could previously benefit from deductions in both the U.S. and foreign countries by clarifying how disregarded payments should be treated. They also introduce guidelines for businesses on how these transactions should be reported and monitored, ensuring that multinational companies pay a minimum level of taxes. The regulations will require companies that previously benefited from these strategies to include certain payments in their U.S. income, effectively closing a tax loophole.

    Simple Explanation

    The IRS and Treasury made new rules so that big companies can't use tricky money moves to pay less tax in America and other countries at the same time, helping to make sure they pay a fair share.