05 May 2019

U.S. International Tax This Week for May 3

Ernst & Young's U.S. International Tax This Week newsletter for the week ending May 3 is now available. Prepared by Ernst & Young's International Tax Services group, this weekly update summarizes important news, cases, and other developments in international taxation.

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Spotlight

Internal Revenue Service (IRS) officials this week offered some insights into upcoming US international tax regulations.

First, the IRS expects soon to release proposed regulations under new IRC Section 1446(f) on withholding for non-publicly traded partnerships. According to an IRS official, the proposed regulations will include certain rules from a previously issued notice, as well as further elaborations, clarifications and new provisions.

In April 2018, the IRS issued Notice 2018-29, providing interim guidance under the IRC Section 1446(f) withholding rules for dispositions of interests in non-publicly traded partnerships that would generate gain treated as effectively connected with the conduct of a US trade or business under IRC Section 864(c)(8). The Notice generally did not suspend or delay the new IRC Section 1446(f) withholding rules, which apply to sales, exchanges or dispositions of partnership interests occurring after 31 December 2017. The Notice suspended, however, a partnership's obligation to withhold when the transferee fails to withhold, and includes rules designed to facilitate implementation of IRC Section 1446(f) and minimize over-withholding. The suspension of withholding for sales of interests in publicly traded partnerships under Notice 2018-8 remained in place.

The IRS official was quoted as saying the proposed regulations will contain rules for withholding on dispositions of publicly traded partnership interests, and when implemented would remove the withholding suspension in Notice 2018-8.

The IRS official also said that temporary regulations published in early January 2017 that implement the Foreign Account Tax Compliance Act and nonresident withholding (Chapter 4, Sections 1471–1474) will be finalized soon. Those regulations are scheduled to sunset at the end of 2019. Chapter 4 generally requires US withholding agents to withhold tax on certain payments to foreign financial institutions that do not agree to report certain information to the IRS regarding their US accounts. It also requires US withholding agents to withhold on certain payments to certain nonfinancial foreign entities that do not provide information on their substantial US owners to withholding agents.

Finally, another IRS official was quoted as saying the IRS will soon release proposed regulations on the repeal of IRC Section 958(b)(4). The Tax Cuts and Jobs Act repealed IRC Section 958(b)(4), which generally prevented stock owned by a foreign shareholder from being attributed downward to a domestic subsidiary. The official said the regulations would address "certain non-subpart F issues" that were affected by the repeal.

The Indian Government has announced that it ratified, on 25 April, the pending US-India agreement on the automatic exchange of country-by-country (CbC) reports. The new agreement, signed on 27 March, will enable both countries to exchange CbC reports filed by ultimate parent entities of international groups in the respective jurisdictions, for financial years beginning on or after 1 January, 2016. Therefore, Indian constituent entities of US headquartered international groups that have already filed CbC reports in the United States would not be required to file CbC reports locally in India. Consistent with this, the IRS website has been updated to indicate that local filing will not be required in India.

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Upcoming Webcasts

International tax talk (May 9)
During this Thought Center Webcast, Ernst & Young professionals will provide you with information on major tax law changes in the countries and jurisdictions covered by our US-based Global Tax Desk Network.

Global payroll challenges for US employers - Hosted by Ernst & Young LLP and Bloomberg Tax (June 25)
During this Thought Center Webcast, Ernst & Young professionals will discuss the international trends that are influencing payroll and HR systems and policies with a specific focus on the governing rules and how they are applied.

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Recent Tax Alerts

Africa

Asia

Canada & Latin America

Europe

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IRS Weekly Wrap-Up

Internal Revenue Bulletin

 2019-18Internal Revenue Bulletin of April 29, 2019

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Additional Resources

Ernst & Young Client Portal, the leading source for news, analysis, and reference materials for corporate tax professionals, has a variety of content of interest to international tax practitioners, including:

International Tax Online Reference Service. Key information about, and important tax developments from, 56 foreign jurisdictions, including information on tax rates, interest rates and penalties, withholding, and filing dates.

EY/Passport. EY/Passport is your guide to planning ventures in the global economy, offering a wealth of tax and business knowledge on more than 150 countries.

Because the matters covered herein are complicated, U.S. International Tax This Week should not be regarded as offering a complete explanation and should not be used for making decisions. Any decision concerning matters covered herein should be reviewed with a qualified tax advisor.

Document ID: 2019-0859