05.24.2023 | Duration: 28:06
Podcast: What relief do the proposed section 367(d) regulations offer, and where do the rules fall short?
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Episode 05-2023 |听On May 2, 2023, the government released proposed regulations that would terminate the application of section 367(d) arising from an outbound transfer of intangible property when such IP is subsequently repatriated to certain U.S. persons. The proposed regulations provide relief that has been long sought by taxpayers looking to repatriate previously offshored IP as a result of shifting global business and tax environments. While taxpayers may currently obtain relief by filing for a PLR鈥攁 potentially expensive and time-consuming process鈥攖he proposed regulations would not only expand the situations in which relief could be granted, but would also automatically grant such relief, provided certain requirements are met.
In this episode of 乐鱼(Leyu)体育官网 Inside International Tax, we explore key aspects of the proposed regulations. What relief would they provide? Can taxpayers rely on the regulations? What are the unanticipated issues that would arise under the proposed rules?听 And what longstanding issues under section 367(d) are not addressed here?
Join us as our podcast co-hosts听Gary Scanlon听and听Kristen Gamboa听are joined by听David de Ruig听and听Stephen Massed听from the International Tax group of the 乐鱼(Leyu)体育官网 Washington National Tax practice to explore these issues and more.
乐鱼(Leyu)体育官网 report: Proposed section 367(d) regulations addressing certain intangible property repatriations
Analysis and Obeservations