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Dual Consolidated Losses: New Proposed Regulations, Recapture Provisions, Late-Filing Relief

A live 110-minute CPE webinar with interactive Q&A

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Friday, November 22, 2024

1:00pm-2:50pm EST, 10:00am-11:50am PST

Early Registration Discount Deadline, Friday, October 25, 2024

or call 1-800-926-7926

This webinar will explain the application of the dual consolidated loss (DCL) rules under IRC Section 1503(d) to global entity structures, the effect of the new proposed regulations on existing structures, and the recapture provisions for international companies and their advisers. Our panel of international mergers and acquisitions strategists will present examples and scenarios applying the existing and proposed guidelines.

Description

Some companies with dual-resident status are treated as domestic entities in the U.S. and abroad; a U.S. domestic entity may operate through branches or units in foreign countries or two domestic U.S. corporations filing a consolidated return could generate net operating losses deductible in two countries. IRC Section 1503(d) DCL rules and the related regulations were enacted to prevent entities operating in the U.S. and abroad from double-dipping net operating losses.

In August 2024, proposed regulations REG-105128-23 were issued to recognize and work with the Pillar II rules and the 15 percent minimum global tax. These rules clarify that a tax intended to ensure a minimum tax rate is an income tax and state that a qualified domestic top-up tax and an income inclusion rule can be considered an income tax. They also explain the interaction of DCL with intercompany transactions, eliminate certain stock sales from DCL, and incorporate other significant changes. Multinational tax advisers must grasp the DCL rules and understand the implications of the new proposed regulations.

Listen as our panel of international tax experts reviews the existing DCL rules and the impact of the recently proposed regulations.

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Outline

  1. Dual consolidated losses: introduction
  2. Proposed regulations
  3. Recapture scenarios
  4. Late filing relief
  5. Examples

Benefits

The panel will cover these and other critical issues:

  • Proposed regulations REG-105128-23 and their impact on multinational companies
  • Entities subject to IRC Section 1503(d) DCL rules
  • Recapture considerations on the sale of a foreign entity
  • IRS late filing relief for DCLs

Faculty

Feinstein, Neil
Neil Feinstein
Managing Director, National Tax Office, International Tax Service
BDO USA

Mr. Feinstein has over 30 years of experience in advising multinational companies and large privately held companies on...  |  Read More

Masciangelo, Michael
Michael Masciangelo, CPA

Tax Partner; International Tax Services Practice Leader
BDO USA

Mr. Masciangelo is responsible for international tax strategy development, including working with the firm’s U.S....  |  Read More

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