Filed on regulations.gov — full text not in the inline record.
IRSNonrulemakingIRS-2023-0060
Guidance Regarding the Foreign Tax Credit and Dual Consolidated Losses in Relation to the GloBE Model Rules, and Extension and Modification of Temporary Relief in Notice 2023-55 (Notic e 2023-80)
RIN
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Last modified
Feb 12, 2024
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closed 900d ago
National Association of Manufacturers (NAM) filings
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National Association of Manufacturers (NAM) filed 1 comment on this docket between Feb 12, 2024 and Feb 12, 2024. 5 other organizations filed here. The comment window closed 900d ago.
What National Association of Manufacturers (NAM) filed (1)
Feb 12, 2024· Comment from National Association of Manufacturers· IRS-2023-0060-0011
Abstract
This notice announces that the Department of the Treasury (Treasury Department) and the Internal Revenue Service (IRS) intend to issue proposed regulations under §§ 59(l), 78, 704, 901, 903, 951A, 954, 960, and 1503(d) of the Internal Revenue Code (Code) to address the application of those provisions, including the foreign tax credit rules and the dual consolidated loss rules, to certain types of taxes described in the “Tax Challenges Arising from the Digitalisation of the Economy - Global Anti-Base Erosion Model Rules (Pillar Two)” (GloBE Model Rules).
View on regulations.gov →Co-filers (5)
See everyone who commented →- National Association of Manufacturers (NAM)THIS ORG1 filing · confidence 97%
- Alliance for Competitive Taxationtrade assoc.1 filing · confidence 85%
- American Council of Life Insurerstrade assoc.1 filing · confidence 85%
- Information Technology Industry Counciltrade assoc.1 filing · confidence 97%
- Medical Device Competitiveness Coalitiontrade assoc.1 filing · confidence 85%
- National Foriegn Trade Counciltrade assoc.1 filing · confidence 85%