REG-209006-89 - Transfers by Domestic Corporations That Are Subject to Section 367(a)(5); Distributions by Domestic Corporations That Are Subject to Section 1248(f).

ICR 201301-1545-030

OMB: 1545-2183

Federal Form Document

Forms and Documents
Document
Name
Status
Supporting Statement A
2010-05-27
ICR Details
1545-2183 201301-1545-030
Historical Active 201004-1545-004
TREAS/IRS RuleMaking Approval by 6/4/10
REG-209006-89 - Transfers by Domestic Corporations That Are Subject to Section 367(a)(5); Distributions by Domestic Corporations That Are Subject to Section 1248(f).
New collection (Request for a new OMB Control Number)   No
Regular
Approved without change 01/23/2013
Retrieve Notice of Action (NOA) 01/23/2013
  Inventory as of this Action Requested Previously Approved
07/31/2013 36 Months From Approved
305 0 0
3,260 0 0
0 0 0

The income tax regulations under section 367(a) will be amended to reflect the changes made to that section by the Technical and Miscellaneous Corrections Act of 1988. Section 367(a)(5)now provides that a transfer of assets to a foreign corporation in an exchange described in section 361 is subject to section 367(a)(1), unless certain ownership requirements and other conditions are met.

US Code: 26 USC 7805 Name of Law: Rules and regulations
   US Code: 26 USC 367 Name of Law: Foreign corporations
  
PL: Pub.L. 100 - 647 102 Name of Law: Technical and Miscellaneous Revenue Act of 1988

1545-AM97 Final or interim final rulemaking 73 FR 49278 08/20/2008

No

  Total Approved Previously Approved Change Due to New Statute Change Due to Agency Discretion Change Due to Adjustment in Estimate Change Due to Potential Violation of the PRA
Annual Number of Responses 305 0 305 0 0 0
Annual Time Burden (Hours) 3,260 0 3,260 0 0 0
Annual Cost Burden (Dollars) 0 0 0 0 0 0
No
No
This document contains final regulations under sections 367(a), 367(a)(5), 367(b), 1248(a), 1248(e), 1248(f), and 6038B of the Internal Revenue Code (Code). The final regulations under section 367(a) include the regulations described in Notice 2008-10 (2008-3 IRB 277). The final regulations under sections 367(a)(5) and 367(b) apply when a domestic corporation transfers certain property to a foreign corporation in an exchange described in section 361(a) or (b). The final regulations under section 1248(e) suspend the application of section 1248(e) when capital gains are taxed at a rate equal to or greater than the rate at which ordinary income is taxed. The final regulations under section 1248(f) apply when a domestic corporation distributes stock of certain foreign corporations in a distribution to which section 337, 355, or 361 applies. The final regulations under section 1248(f) include regulations described in Notice 87-64 (1987-2 CB 375). Finally, the final regulations under section 6038B establish reporting requirements for certain transfers of property by a domestic corporation to a foreign corporation in certain exchanges described in section 361(a) or (b). There are no changes to the burden previously reported in the proposed regulations (REG-209006-89), however changes are requested to coordinate estimates at OMB.

$0
No
No
No
Uncollected
No
Uncollected
Sean Mullaney 202 622-3860 [email protected]

  No

On behalf of this Federal agency, I certify that the collection of information encompassed by this request complies with 5 CFR 1320.9 and the related provisions of 5 CFR 1320.8(b)(3).
The following is a summary of the topics, regarding the proposed collection of information, that the certification covers:
 
 
 
 
 
 
 
    (i) Why the information is being collected;
    (ii) Use of information;
    (iii) Burden estimate;
    (iv) Nature of response (voluntary, required for a benefit, or mandatory);
    (v) Nature and extent of confidentiality; and
    (vi) Need to display currently valid OMB control number;
 
 
 
If you are unable to certify compliance with any of these provisions, identify the item by leaving the box unchecked and explain the reason in the Supporting Statement.
06/10/2010


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