28 November 2018

BREAKING TAX NEWS | Plan to attend Friday's webcast on the proposed Section 163(j) regulations

Newly issued proposed Section 163(j) regulations provide taxpayers and practitioners with answers to such fundamental questions as what is included in business interest, how taxpayers should compute adjusted taxable income, and how the limitation applies to controlled foreign corporations (CFCs). Join panelists from Ernst & Young LLP's International and Federal tax practices on Friday, 30 November from 1:00-2:30 p.m. EST, for a discussion of the proposed regulations, including:

  • Definitions of "interest," "business interest" and "adjusted taxable income"
  • Allocation of interest between exempt and non-exempt activities
  • Application to partners and partnerships
  • Interaction with international tax rules, including the rules concerning CFCs

Follow this link to register.

Document ID: 2018-9028