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3/19/2020

Treasury and IRS Issue Proposed and Final Guidance on Foreign Tax Credits and the Base Erosion and Anti-Abuse Tax to Continue Mo…

Treasury and IRS Issue Proposed and Final Guidance on Foreign
Tax Credits and the Base Erosion and Anti-Abuse Tax to
Continue Modernizing the US Tax System
December 2, 2019

Washington –The U.S. Treasury Department and IRS today issued proposed and final
regulations relating to two significant international tax provisions of the Tax Cuts and Jobs Act
(TCJA): foreign tax credits (FTC) and the base erosion and anti-abuse tax (BEAT).
“The Tax Cuts and Jobs Act has made America’s business environment more competitive. Tax
cuts have led to companies bringing back close to a trillion dollars and creating
countless opportunities for hardworking Americans,” said Secretary Steven T. Mnuchin. “Today’s
guidance continues to modernize our tax system, ensure a thoughtful and deliberate transition
from a worldwide towards a territorial system, protect the U.S. tax base, and provide taxpayers
with the clarity they need to plan and grow their businesses.”
FTCs generally provide relief to U.S. taxpayers paying or accruing foreign income taxes. Changes
to the treatment of FTCs under the TCJA included adding new foreign tax credit limitation
categories, providing new foreign tax credit rules related to the enactment of the global
intangible low taxed income (GILTI) regime, and eliminating the fair market value asset
valuation method for interest expenses.
Today’s proposed regulations include rules on the allocation and apportionment of research
and experimental deductions that will generally allow taxpayers subject to the GILTI regime to
increase their use of foreign tax credits. The final regulations finalize proposed regulations
issued in December 2018. Those regulations include a rule treating certain assets as 50 percent
exempt for expense allocation purposes, as well as rules on applying the new FTC limitation
categories. This includes a taxpayer favorable elective transition rule for carryovers of FTCs.
The BEAT provides a backstop to prevent multinational enterprises from eroding the US tax
base by unduly reducing their U.S. tax liability. The final regulations released today reflect
comments received from taxpayers and facilitate compliance with the statute. They provide
detailed guidance regarding which taxpayers will be subject to the BEAT, how to determine base
erosion payments, and the calculation of the base erosion minimum tax amount.
https://home.treasury.gov/news/press-releases/sm840

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3/19/2020

Treasury and IRS Issue Proposed and Final Guidance on Foreign Tax Credits and the Base Erosion and Anti-Abuse Tax to Continue Mo…

The new proposed regulations provide further guidance on other operational aspects of BEAT.
They provide a rule for applying BEAT when taxpayers elect to waive certain deductions, and
provide additional guidance for applying the BEAT to groups of related taxpayers and to
partnerships.
Click HERE

and HERE

to view the FTC regulations.

Click HERE and HERE to view the BEAT regulations.
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https://home.treasury.gov/news/press-releases/sm840

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