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Cross-border Tax Talks cover image

Taxing FX of Branches: the new Section 987 regulations

Cross-border Tax Talks

NOTE

Discussion on Current and Proposed Deferral Rules for 987 Losses

The current final regulations under Dash-12 defer gains and losses or just losses in certain circumstances. Proposed Dash-12 deferral rules maintain the basic results with terminology changes. Transactions like reorganizing, transferring, or selling a QBU within a foreign ownership structure will defer the recognition of 987 gains and losses. A deferred 987 gain is termed as net unrecognized 987 gain, and a deferred 987 loss is called a suspended loss. Outbound transfers of a QBU trigger 987 gain but defer losses as suspended losses. A new rule disallows bringing in unrealized 987 losses when liquidating a QBU, creating a significant pitfall. Another aspect is the loss to the extent of gain, allowing outsized losses only if the owner of the QBU has gained in the same grouping. This links the 987 gain or loss with sourcing attributes, impacting how these components are treated. This coupling affects the treatment of 987 losses, which under current law are ordinary foreign currency losses when triggered in the US, offsettable against any other ordinary income.

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