
Treasury releases final regulations on currency gains and losses of qualified business units
Treasury released final regulations on foreign currency translation gains or losses from QBUs that operate in a different currency than their owner.
The global tax regulatory environment has gone through a historic change and is still changing. This has forced companies to re-evaluate and become proactive concerning their global operating model to keep a competitive advantage.
The magnitude of transformation is different for every company and driven based upon company profile (locations, employees, functions, risks, etc.), pressure points and business objectives. For each business situation, every level of an organization may be involved, and the implications spanning across operational, tax and legal. Companies are looking at ways to develop and implement an effective value chain management process that considers and brings all these facets together to help achieve smoother operations, greater profitability and more sustainable growth.
Legal Matters Consul’s Value Chain Transformation practice works with your company to guide you through the transformation process by:
Providing insight on how other companies are handling the changing environment as well as strategies being implemented
Listening to your business objectives to gain an understanding of what your goals are
Evaluating your value chain management process and finding a path to improvement
Exploring value chain improvement options & co-developing the best solution for your company
Presenting tailored options that are aligned to your specific footprint and fact pattern.
What is it? This provision limits ‘business interest’ expense deductions to the sum of a taxpayer’s business interest income, 30% of adjusted taxable income, and floor plan financing. Unlike old section 163(j), the new section 163(j) applies regardless of whether the interest payment is made to a US or foreign person, or whether the recipient of interest is exempt from US tax.
How could it impact value chain decisions? For many taxpayers, the limitation of deductible interest expense will have a significant impact. The new section 163(j) rules also impact other new provisions introduced with tax reform. Interest expense apportionment may drive excess GILTI foreign tax credits as well as impact the BEAT calculation.