General Explanations of the Administration's Fiscal Year 2022

Total Page:16

File Type:pdf, Size:1020Kb

General Explanations of the Administration's Fiscal Year 2022 General Explanations of the Administration’s Fiscal Year 2022 Revenue Proposals Department of the Treasury May 2021 This document is available online at: https://home.treasury.gov/policy-issues/tax-policy/revenue-proposals TABLE OF CONTENTS REVENUE PROPOSALS ....................................................................................... 1 AMERICAN JOBS PLAN ....................................................................................................... 2 Reform Corporate Taxation ................................................................................................. 3 Raise the Corporate Income Tax Rate to 28 Percent ......................................................... 3 Revise the Global Minimum Tax Regime, Disallow Deductions Attributable to Exempt Income, and Limit Inversions .................................................................................. 4 Reform Taxation of Foreign Fossil Fuel Income ................................................................ 9 Repeal the Deduction for Foreign-Derived Intangible Income (FDII) ............................ 11 Replace the Base Erosion Anti-Abuse Tax (BEAT) with the Stopping Harmful Inversions and Ending Low-Tax Developments (SHIELD) Rule ........................................... 12 Limit Foreign Tax Credits from Sales of Hybrid Entities ................................................. 16 Restrict Deductions of Excessive Interest of Members of Financial Reporting Groups for Disproportionate Borrowing in the United States ................................................ 18 Impose a 15 Percent Minimum Tax on Book Earnings of Large Corporations ............... 21 Provide Tax Incentives for Locating Jobs and Business Activity in the United States and Remove Tax Deductions for Shipping Jobs Overseas ........................................... 22 Support Housing and Infrastructure ................................................................................. 24 Expand the Low-Income Housing Tax Credit ................................................................... 24 Provide Neighborhood Homes Investment Tax Credit ..................................................... 26 Make Permanent the New Markets Tax Credit (NMTC) .................................................. 29 Provide Federally Subsidized State and Local Bonds for Infrastructure ......................... 30 Prioritize Clean Energy....................................................................................................... 33 Eliminate Fossil Fuel Tax Preferences ............................................................................. 33 Extend and Enhance Renewable and Alternative Energy Incentives ............................... 38 Provide Tax Credit for Electricity Transmission Investments .......................................... 41 Provide Allocated Credit for Electricity Generation from Existing Nuclear Power Facilities ............................................................................................................... 42 Establish New Tax Credits for Qualifying Advanced Energy Manufacturing .................. 44 Establish Tax Credits for Heavy- and Medium-Duty Zero Emissions Vehicles ............... 46 Provide Tax Incentives for Sustainable Aviation Fuel ..................................................... 48 Provide a Production Tax Credit for Low-Carbon Hydrogen .......................................... 49 Extend and Enhance Energy Efficiency and Electrification Incentives ............................ 50 Provide Disaster Mitigation Tax Credit ........................................................................... 53 Expand and Enhance the Carbon Oxide Sequestration Credit ........................................ 54 Extend and Enhance the Electric Vehicle Charging Station Credit ................................. 56 Reinstate Superfund Excise Taxes and Modify Oil Spill Liability Trust Fund Financing 57 AMERICAN FAMILIES PLAN ............................................................................................ 59 Strengthen Taxation of High-Income Taxpayers ............................................................. 60 Increase the Top Marginal Income Tax Rate for High Earners ....................................... 60 Reform the Taxation of Capital Income ............................................................................ 61 Rationalize Net Investment Income and Self-Employment Contributions Act Taxes ....... 65 Support Workers, Families, and Economic Security ....................................................... 68 i General Explanations of the Administration’s Fiscal Year 2022 Revenue Proposals Make Permanent the American Rescue Plan Expansion of Premium Tax Credits .......... 68 Make Permanent the Expansion of the Earned Income Tax Credit (EITC) for Workers Without Qualifying Children ................................................................................ 70 Make Permanent American Rescue Plan Changes to the Child and Dependent Care Tax Credit .................................................................................................................... 73 Extend the Child Tax Credit Increase Through 2025 and Make Permanent Full Refundability ......................................................................................................... 77 Increase the Employer-Provided Childcare Tax Credit for Businesses ........................... 81 Close Loopholes ................................................................................................................... 82 Tax Carried (Profits) Interests as Ordinary Income ........................................................ 82 Repeal Deferral of Gain From Like-Kind Exchanges ...................................................... 84 Make Permanent Excess Business Loss Limitation of Noncorporate Taxpayers ............. 85 Improve Compliance ........................................................................................................... 86 Implement a Program Integrity Allocation Adjustment and Provide Additional Funding for Tax Administration .......................................................................................... 86 Introduce Comprehensive Financial Account Reporting to Improve Tax Compliance .... 88 Improve Tax Administration .............................................................................................. 90 Increase Oversight of Paid Tax Return Preparers ........................................................... 90 Enhance Accuracy of Tax Information ............................................................................. 92 Expand Broker Information Reporting with Respect to Crypto Assets ............................. 94 Address Taxpayer Noncompliance with Listed Transactions ........................................... 96 Modify Tax Administration Rules ..................................................................................... 99 Authorize Limited Sharing of Business Tax Return Information to Measure The Economy More Accurately.................................................................................................. 101 TABLE OF REVENUE ESTIMATES………………………………………………..103 ii General Explanations of the Administration’s Fiscal Year 2022 Revenue Proposals NOTES The Administration’s proposals are not intended to create any inferences regarding current law. Within the General Explanations of the Administration’s Fiscal Year 2022 Revenue Proposals, unless otherwise stated: • “AGI” refers to Adjusted Gross Income • “Budget” refers to the Fiscal Year 2022 Budget of the U.S. Government • “Code” refers to the Internal Revenue Code • “C-CPI-U” refers to the Chained Consumer Price Index for Urban Consumers • “IRA” refers to Individual Retirement Account or Annuity • “IRS” refers to the Internal Revenue Service • “Section” refers to the respective section of the Internal Revenue Code • “Secretary” refers to the Secretary of the Treasury • “Treasury” refers to the Department of the Treasury • “TIN” refers to Taxpayer Identification Number iii General Explanations of the Administration’s Fiscal Year 2022 Revenue Proposals iv General Explanations of the Administration’s Fiscal Year 2022 Revenue Proposals REVENUE PROPOSALS In the Fiscal Year 2022 Budget, the President proposes a number of reforms to the Internal Revenue Code (Code) that would modernize our tax system to respond to today’s challenges. These changes would raise revenue, improve tax administration, and make the tax system more equitable and efficient. The American Jobs Plan includes revenue proposals that reform corporate taxation, support housing and infrastructure, and prioritize clean energy. Reforms to the corporate income tax aim to collect sufficient revenue, build a fairer tax system, and reduce tax incentives that encourage profit shifting and offshoring. Housing and infrastructure tax credits would support low-income housing, economic development, and public school and transportation infrastructure. The American Jobs Plan would eliminate all fossil fuel subsidies that linger in the Code, while substantially expanding tax incentives that encourage clean energy sources, energy efficiency, carbon sequestration, and electric vehicle adoption. The American Families Plan includes revenue proposals that strengthen the taxation of high- income taxpayers, expand tax credits for low- and middle-income workers and families, and invest in improved taxpayer compliance and service. Income tax rates for those with the highest
Recommended publications
  • CALENDAR of ARTICLES by EFFECTIVE DATES As of March 27, 2019
    CALENDAR OF ARTICLES by EFFECTIVE DATES As of March 27, 2019 Introduction This document organizes MLN Matters® Article by effective date with descriptive information. The calendar represents 12 months (rolling months) of articles that have been posted. It can be used to review upcoming Medicare changes. Since many of the articles are posted and Change Requests (CRs) released months before the effective dates, the calendar can serve as a reminder of pending Medicare changes. Tips on Using the Calendar Review the calendar for upcoming Medicare changes to anticipate where errors may be introduced due to billing changes. Review the calendar for upcoming Medicare changes to assist in anticipating where complex changes may increase the number of calls to Call Centers. This could be due to effective dates of complicated regulation changes that are scheduled. Review the calendar to ensure staff and provider partners (if appropriate) are prepared for the upcoming change (for example, ICD-10). The calendar is updated weekly to reflect the posted MLN articles and CRs. March 2018 CALENDAR OF MEDICARE PROCESSING and BILLING CHANGES Effective Date Article Article Title Providers Affected Description Number 3/16/2018 MM10878 National Coverage Physicians, providers, Informs, effective 3/16/2018, Determination and suppliers billing CMS covers diagnostic (NCD90.2): Next MACs for services laboratory tests using next Generation provided to Medicare generation sequencing when Sequencing (NGS) beneficiaries performed in a CLIA-certified laboratory when
    [Show full text]
  • 2020-2021 Districtwide School Year Calendar
    FINAL 2020 – 2021 Districtwide School Year Calendar AUGUST FEBRUARY 2020-21 Calendar M T W T F M T W T F 3 4 5 6 7 1 2 3 4 5 Aug 17 Professional Meeting Day. No Students 8 Aug 18 -21 Staff Professional Development Day. 10 11 12 13 14 9 10 11 12 M No Students. Aug 24 Schools Open. Students Report. 17 18 19 20 21 15 16 17 18 19 Sept 7 Labor Day. Holiday. Schools Closed Sep 14 Midterm Week 24 25 26 27 28 22 23 24 25 26 Sep 21 –Oct 9 Fall Gifted Screening 31 Sep 28- Oct 9 INVIEW / Terra Nova (Elementary) Oct 14 PSAT (High Schools) Oct 16 End of First Quarter. Students Report. SEPTEMBER MARCH (39 Instructional Days, 44 Staff Days). M T W T F M T W T F Oct 21 – 27 3rd Grade Fall ELA. 1 2 3 4 1 2 3 4 5 Nov 2 Conference Comp Day –School Closed Nov 3 Election Day – Conference Day. 7 8 9 10 11 8 9 10 11 12 Q No Students. 14 M 15 16 17 18 15 16 17 18 19 Nov 9 Midterm Week 21 22 23 24 25 22 23 24 25 26 Nov 11 Veterans’ Day. Holiday Observance. Schools Closed. 28 29 30 29 30 31 Nov 25 Conference Day. No Students. Nov 26 Thanksgiving. Holiday Observance. OCTOBER APRIL Nov 27 Schools Closed. Dec 1 – 11 Fall HS End of Course M T W T F M T W T F Dec 14 -18 Semester 1 Exams (High Schools) 1 2 1 2 Dec 18 End of Second Quarter.
    [Show full text]
  • RESTORING the LOST ANTI-INJUNCTION ACT Kristin E
    COPYRIGHT © 2017 VIRGINIA LAW REVIEW ASSOCIATION RESTORING THE LOST ANTI-INJUNCTION ACT Kristin E. Hickman* & Gerald Kerska† Should Treasury regulations and IRS guidance documents be eligible for pre-enforcement judicial review? The D.C. Circuit’s 2015 decision in Florida Bankers Ass’n v. U.S. Department of the Treasury puts its interpretation of the Anti-Injunction Act at odds with both general administrative law norms in favor of pre-enforcement review of final agency action and also the Supreme Court’s interpretation of the nearly identical Tax Injunction Act. A 2017 federal district court decision in Chamber of Commerce v. IRS, appealable to the Fifth Circuit, interprets the Anti-Injunction Act differently and could lead to a circuit split regarding pre-enforcement judicial review of Treasury regulations and IRS guidance documents. Other cases interpreting the Anti-Injunction Act more generally are fragmented and inconsistent. In an effort to gain greater understanding of the Anti-Injunction Act and its role in tax administration, this Article looks back to the Anti- Injunction Act’s origin in 1867 as part of Civil War–era revenue legislation and the evolution of both tax administrative practices and Anti-Injunction Act jurisprudence since that time. INTRODUCTION .................................................................................... 1684 I. A JURISPRUDENTIAL MESS, AND WHY IT MATTERS ...................... 1688 A. Exploring the Doctrinal Tensions.......................................... 1690 1. Confused Anti-Injunction Act Jurisprudence .................. 1691 2. The Administrative Procedure Act’s Presumption of Reviewability ................................................................... 1704 3. The Tax Injunction Act .................................................... 1707 B. Why the Conflict Matters ....................................................... 1712 * Distinguished McKnight University Professor and Harlan Albert Rogers Professor in Law, University of Minnesota Law School.
    [Show full text]
  • Thomson Reuters Spreadsheet Link User Guide
    THOMSON REUTERS SPREADSHEET LINK USER GUIDE MN-212 Date of issue: 13 July 2011 Legal Information © Thomson Reuters 2011. All Rights Reserved. Thomson Reuters disclaims any and all liability arising from the use of this document and does not guarantee that any information contained herein is accurate or complete. This document contains information proprietary to Thomson Reuters and may not be reproduced, transmitted, or distributed in whole or part without the express written permission of Thomson Reuters. Contents Contents About this Document ...................................................................................................................................... 1 Intended Readership ................................................................................................................................. 1 In this Document........................................................................................................................................ 1 Feedback ................................................................................................................................................... 1 Chapter 1 Thomson Reuters Spreadsheet Link .......................................................................................... 2 Chapter 2 Template Library ........................................................................................................................ 3 View Templates (Template Library) ..............................................................................................................................................
    [Show full text]
  • The Mathematics of the Chinese, Indian, Islamic and Gregorian Calendars
    Heavenly Mathematics: The Mathematics of the Chinese, Indian, Islamic and Gregorian Calendars Helmer Aslaksen Department of Mathematics National University of Singapore [email protected] www.math.nus.edu.sg/aslaksen/ www.chinesecalendar.net 1 Public Holidays There are 11 public holidays in Singapore. Three of them are secular. 1. New Year’s Day 2. Labour Day 3. National Day The remaining eight cultural, racial or reli- gious holidays consist of two Chinese, two Muslim, two Indian and two Christian. 2 Cultural, Racial or Religious Holidays 1. Chinese New Year and day after 2. Good Friday 3. Vesak Day 4. Deepavali 5. Christmas Day 6. Hari Raya Puasa 7. Hari Raya Haji Listed in order, except for the Muslim hol- idays, which can occur anytime during the year. Christmas Day falls on a fixed date, but all the others move. 3 A Quick Course in Astronomy The Earth revolves counterclockwise around the Sun in an elliptical orbit. The Earth ro- tates counterclockwise around an axis that is tilted 23.5 degrees. March equinox June December solstice solstice September equinox E E N S N S W W June equi Dec June equi Dec sol sol sol sol Beijing Singapore In the northern hemisphere, the day will be longest at the June solstice and shortest at the December solstice. At the two equinoxes day and night will be equally long. The equi- noxes and solstices are called the seasonal markers. 4 The Year The tropical year (or solar year) is the time from one March equinox to the next. The mean value is 365.2422 days.
    [Show full text]
  • Taxing the System with Public Employees' Tax Obligations Kenneth H
    The University of Akron IdeaExchange@UAkron Akron Law Review Akron Law Journals July 2015 Of Taxes and Duties: Taxing the System With Public Employees' Tax Obligations Kenneth H. Ryesky Please take a moment to share how this work helps you through this survey. Your feedback will be important as we plan further development of our repository. Follow this and additional works at: http://ideaexchange.uakron.edu/akronlawreview Part of the Labor and Employment Law Commons, and the Tax Law Commons Recommended Citation Ryesky, Kenneth H. (1998) "Of Taxes and Duties: Taxing the System With Public Employees' Tax Obligations," Akron Law Review: Vol. 31 : Iss. 3 , Article 1. Available at: http://ideaexchange.uakron.edu/akronlawreview/vol31/iss3/1 This Article is brought to you for free and open access by Akron Law Journals at IdeaExchange@UAkron, the institutional repository of The nivU ersity of Akron in Akron, Ohio, USA. It has been accepted for inclusion in Akron Law Review by an authorized administrator of IdeaExchange@UAkron. For more information, please contact [email protected], [email protected]. Ryesky: Of Taxes and Duties OF TAXES AND DUTIES: TAXING THE SYSTEM WITH PUBLIC EMPLOYEES' TAX OBLIGATIONS by Kenneth H. Ryesky* I. INTRODUCTION Clearly, the tax laws in America are growing increasingly complex.' The tax system has steadily become more intricate despite Presidential acknowledgment more than a decade ago that "[t]he system is too complicated." 2 Yet, the tax laws * B.B.A., Temple University, 1977; M.B.A., La Salle University, 1982; J.D., Temple University, 1986; M.L.S. degree candidate, Queens College CUNY; currently a solo practitioner Attorney in East Northport, NY; Adjunct Assistant Professor, Department of Accounting & Information Systems, Queens College CUNY, Flushing, NY and Adjunct Assistant Professor, Department of Business Management, Molloy College, Rockville Centre, NY; formerly Estate Tax Attorney, Internal Revenue Service, Manhattan District.
    [Show full text]
  • 2021-22 Official District Calendar
    Perrysburg AMENDED JUNE 21, 2021 Public Schools Tuesday August 10 HPI - Grade 6 orientation, Junior High Orientation 2021-2022 Wednesday August 11 JH &HPI (grade 5) orientation Thursday August 12 Teacher Inservice School Year Calendar Friday August 13 Teacher Inservice Monday August 16 Teacher Inservice/Workday Tuesday-Thursday August 17-19 Elementary - Jacket Jump Start Appointments Tuesday August 17 HS-Freshman only attend, JH-Grade 8 only attend, HPI-Grade 6 only attend AUGUST 2021 SEPTEMBER 2021 OCTOBER 2021 Wednesday August 18 HS-Freshman only attend, JH-Grade 7 only attend, HPI-Grade 5 only attend M T W T F M T W T F M T W T F Thursday August 19 All High School, Junior High and HPI attend school 2 3 4 5 6 1 2 3 1 Thursday August 19 High School Open House - evening Elementary - First day 9 10 11 12 13 6 7 8 9 10 4 5 6 7 8 Friday August 20 Monday August 23 Preschool First Day 16 17 18 19 20 13 14 15 16 17 11 12 13 14 15 1 Thursday August 26 Junior High Open House - evening 23 24 25 26 27 20 21 22 23 24 18 19 20 21 22 Monday September 6 Labor Day - No School Preschool-12 30 31 27 28 29 30 25 26 27 28 29 Thursday September 23 High School Evening Conferences NOVEMBER 2021 DECEMBER 2021 JANUARY 2022 Friday October 15 End of first quarter M T W T F M T W T F M T W T F Monday & Wed.
    [Show full text]
  • Superstition and Risk-Taking: Evidence from “Zodiac Year” Beliefs in China
    Superstition and risk-taking: Evidence from “zodiac year” beliefs in China This version: February 28, 2020 Abstract We show that superstitions –beliefs without scientific grounding – have material conse- quences for Chinese individuals’ risk-taking behavior, using evidence from corporate and in- dividual decisions, exploiting widely held beliefs in bad luck during one’s “zodiac year.” We first provide evidence on individual risk-avoidance. We show that insurance purchases are 4.6 percent higher in a customer’s zodiac year, and using survey data we show that zodiac year respondents are 5 percent more likely to favor no-risk investments. Turning to corpo- rate decision-making, we find that R&D and corporate acquisitions decline substantially in a chairman’s zodiac year by 6 and 21 percent respectively. JEL classification: D14, D22, D91, G22, G41 Keywords: Risk aversion, Innovation, Insurance, Household Finance, Superstition, China, Zodiac Year 1 1 Introduction Many cultures have beliefs or practices – superstitions – that are held to affect outcomes in situations involving uncertainty. Despite having no scientific basis and no obvious function (beyond reducing the stresses of uncertainty), superstitions persist and are widespread in modern societies. It is clear that superstitions have at least superficial impact: for example, buildings often have no thirteenth floor, and airplanes have no thirteenth row, presumably because of Western superstitions surrounding the number 13. Whether these beliefs matter for outcomes with real stakes – and hence with implications for models of decision-making in substantively important economic settings – has only more recently been subject to rigorous empirical evaluation. In our paper we study risk-taking of individuals as a function of birth year, and risk-taking by firms as a function of the birth year of their chairmen.
    [Show full text]
  • Critical Analysis of Article "21 Reasons to Believe the Earth Is Young" by Jeff Miller
    1 Critical analysis of article "21 Reasons to Believe the Earth is Young" by Jeff Miller Lorence G. Collins [email protected] Ken Woglemuth [email protected] January 7, 2019 Introduction The article by Dr. Jeff Miller can be accessed at the following link: http://apologeticspress.org/APContent.aspx?category=9&article=5641 and is an article published by Apologetic Press, v. 39, n.1, 2018. The problems start with the Article In Brief in the boxed paragraph, and with the very first sentence. The Bible does not give an age of the Earth of 6,000 to 10,000 years, or even imply − this is added to Scripture by Dr. Miller and other young-Earth creationists. R. C. Sproul was one of evangelicalism's outstanding theologians, and he stated point blank at the Legionier Conference panel discussion that he does not know how old the Earth is, and the Bible does not inform us. When there has been some apparent conflict, either the theologians or the scientists are wrong, because God is the Author of the Bible and His handiwork is in general revelation. In the days of Copernicus and Galileo, the theologians were wrong. Today we do not know of anyone who believes that the Earth is the center of the universe. 2 The last sentence of this "Article In Brief" is boldly false. There is almost no credible evidence from paleontology, geology, astrophysics, or geophysics that refutes deep time. Dr. Miller states: "The age of the Earth, according to naturalists and old- Earth advocates, is 4.5 billion years.
    [Show full text]
  • Administration's Fiscal Year 2014 Revenue Proposals
    General Explanations of the Administration’s Fiscal Year 2014 Revenue Proposals Department of the Treasury April 2013 General Explanations of the Administration’s Fiscal Year 2014 Revenue Proposals Department of the Treasury April 2013 This document is available online at: http://www.treasury.gov/resource-center/tax-policy/Documents/General-Explanations-FY2014.pdf TABLE OF CONTENTS ADJUSTMENTS TO THE BALANCED BUDGET AND EMERGENCY DEFICIT CONTROL ACT (BBEDCA) BASELINE .......................................... 1 Permanently Extend Increased Refundability of the Child Tax Credit ............................... 2 Permanently Extend Earned Income Tax Credit (EITC) for Larger Families and Married Couples ................................................................................................................... 4 Permanently Extend the American Opportunity Tax Credit (AOTC) ................................. 6 RESERVE FOR REVENUE-NEUTRAL BUSINESS TAX REFORM ............. 9 INCENTIVES FOR MANUFACTURING, RESEARCH, CLEAN ENERGY, AND INSOURCING AND CREATING JOBS ............................................................................. 10 Provide Tax Incentives for Locating Jobs and Business Activity in the United States and Remove Tax Deductions for Shipping Jobs Overseas ........................................... 10 Provide New Manufacturing Communities Tax Credit .................................................... 12 Enhance and Make Permanent the Research and Experimentation (R&E) Tax Credit ... 13 Extend Certain Employment Tax
    [Show full text]
  • ACTEC 2018 Pocket Tax Tables
    Pocket Tax Tables Revised through March 1, 2018 SELECTIVE TAX RETURN DUE DATES September 17, 2018 Third estimated installment. October 1, 2018 2017 1041s with 5½ month extension. October 15, 2018 2017 1040s with 6 month extension. January 15, 2019 Fourth estimated installment. April 15, 2019 1040s, fourth estimated installments, calendar year 1041s. May 15, 2019 Form 990. June 17, 2019 Second estimated installment. September 16, 2019 Third estimated installment. October 1, 2019 2018 1041s with 5½ month extension. October 15, 2019 2018 1040s with 6 month extension. January 15, 2020 Fourth estimated installment. POCKET TAX TABLES Revised through March 1, 2018 Although care was taken to make these Pocket Tax Tables an accurate, handy reference, they should not be relied upon as the final basis for action. Neither the College nor the individual editors and advisors (who have volunteered their time and experience in the preparation of the tables) assume any responsibility for the accuracy of the information contained in the tables. Compiling Editors Susan T. Bart Lawrence P. Katzenstein The American College of Trust and Estate Counsel 901 15th Street, N.W. Suite 525 Washington, D.C. 20005 Phone: (202) 684-8460 • Fax: (202) 684-8459 Email: [email protected] • Web Page: actec.org © 2018 ACTEC®. All Rights Reserved. ACTEC is a registered trademark of The American College of Trust and Estate Counsel. CONTENTS Item Page Income Tax Married Filing a Joint Return (or surviving spouse) 4 Head of Household 5 Single Individual 6 Married Filing a
    [Show full text]
  • Section 59A and the Proposed Regulations
    This document has been submitted to the Office of the Federal Register (OFR) for publication and is currently pending placement on public display at the OFR and publication in the Federal Register. The version of the proposed rule released today may vary slightly from the published document if minor editorial changes are made during the OFR review process. The document published in the Federal Register will be the official document. 4830-01-p DEPARTMENT OF THE TREASURY Internal Revenue Service 26 CFR Part 1 [REG-104259-18] RIN 1545-BO56 Base Erosion and Anti-Abuse Tax AGENCY: Internal Revenue Service (IRS), Treasury. ACTION: Notice of proposed rulemaking. SUMMARY: This document contains proposed regulations that provide guidance regarding the tax on base erosion payments of taxpayers with substantial gross receipts and reporting requirements thereunder. The proposed regulations would affect corporations with substantial gross receipts that make payments to foreign related parties. The proposed regulations under section 6038A would affect any reporting corporations within the meaning of section 6038A or 6038C. DATES: Written or electronic comments and requests for a public hearing must be received by [INSERT DATE 60 DAYS AFTER PUBLICATION IN THE FEDERAL REGISTER]. ADDRESSES: Send submissions to CC:PA:LPD:PR (REG-104259-18), room 5203, Internal Revenue Service, PO Box 7604, Ben Franklin Station, Washington, DC 20044. Submissions may be hand delivered Monday through Friday between the hours of 8 a.m. and 4 p.m. to CC:PA:LPD:PR (REG-104259-18), Courier’s desk, Internal Revenue Service, 1111 Constitution Avenue, NW., Washington, DC 20224, or sent electronically, via the Federal eRulemaking Portal at www.regulations.gov (IRS REG-104259-18).
    [Show full text]