IRS Seeks Comments on Proposed Regulations on Passive Income for Certain Foreign Insurance Companies
Exception From Passive Income for Certain Foreign Insurance Companies
A Proposed Rule by the
Publication Date:
Agencies:
Dates: Written or electronic comments and requests for a public hearing must be received by
Entry Type: Proposed Rule
Action: Notice of proposed rulemaking.
Document Citation: 80 FR 22954
Page: 22954 -22956 (3 pages)
CFR: 26 CFR 1
Agency/Docket Number: REG-108214-15
RIN: 1545-BM69
Document Number: 2015-09630
Shorter URL: https://federalregister.gov/a/2015-09630
Action
Notice Of Proposed Rulemaking.
Summary
This document contains proposed regulations that provide guidance regarding when a foreign insurance company's income is excluded from the definition of passive income under section 1297(b)(2)(B). The proposed regulations affect the U.S. shareholders of foreign corporations. This document also invites comments from the public on all aspects of the proposed rules and provides the opportunity for the public to request a public hearing.
DATES:
Written or electronic comments and requests for a public hearing must be received by
ADDRESSES:
Send submissions to: CC:PA:LPD:PR (REG-108214-15),
FOR FURTHER INFORMATION CONTACT:
Concerning the proposed regulations,
SUPPLEMENTARY INFORMATION:
Background and Explanation of Provisions
Under section 1297 of the Internal Revenue Code (Code), a foreign corporation is a PFIC if either 75 percent or more of its gross income for the taxable year is passive income ("passive income test"), or on average 50 percent or more of its assets produce passive income or are held for the production of passive income ("passive asset test"). Section 1297(b)(1) generally defines the term "passive income" to mean any income of a kind that would be "foreign personal holding company income" as defined in section 954(c). In general, an asset is characterized as passive if it generates (or is reasonably expected to generate in the reasonably foreseeable future) passive income as defined in section 1297(b). Assets that generate both passive and non-passive income in a taxable year are treated as partly passive and partly non-passive assets in proportion to the relative amounts of income generated by those assets in that year. See Notice 88-22, 1988-1 CB 489 (
For purposes of applying the passive income test, section 1297(b)(2)(B) provides that, except as provided in regulations, the term "passive income" does not include any income that is derived in the active conduct of an insurance business by a corporation which is predominantly engaged in an insurance business and which would be subject to tax under subchapter L as an insurance company if the corporation were a domestic corporation. As the terms "active conduct" and "insurance business" are not defined in section 1297, Treasury and the
The proposed regulations provide that the term "active conduct" has the same meaning as in section 1.367(a)-2T(b)(3), except that officers and employees are not considered to include the officers and employees of related entities. The proposed regulations define the term "insurance business" to mean the business activity of issuing insurance and annuity contracts and the reinsuring of risks underwritten by insurance companies, together with investment activities and administrative services that are required to support or are substantially related to insurance contracts issued or reinsured by the foreign insurance company. [1] The regulations also provide that an investment activity is any activity engaged in to produce income of a kind that would be foreign personal holding company income as defined in section 954(c). The proposed regulations further provide that investment activities will be treated as required to support or as substantially related to insurance or annuity contracts issued or reinsured by the foreign corporation to the extent that income from the activities is earned from assets held by the foreign corporation to meet obligations under the contracts.
The proposed regulations do not set forth a method to determine the portion of assets held to meet obligations under insurance and annuity contracts. Comments are requested on appropriate methodologies for determining the extent to which assets are held to meet obligations under insurance and annuity contracts.
The proposed regulations also do not define what it means to be "predominantly engaged" in an insurance business. Prior to 1984, the Code did not define an insurance company. Section 1.801-3(a) of the regulations, however, provides in relevant part that an insurance company is a company whose primary and predominant business activity during the taxable year is the issuing of insurance or annuity contracts or the reinsuring of risks underwritten by insurance companies.
In 1984,
Proposed Effective/Applicability Date
These regulations are proposed to apply on the date of publication of the Treasury decision adopting these rules as final regulations in the
Special Analyses
It has been determined that this notice of proposed rulemaking is not a significant regulatory action as defined in Executive Order 12866, as supplemented by Executive Order 13563. Therefore, a regulatory assessment is not required. It also has been determined that section 553(b) of the Administrative Procedure Act (5
Comments and Requests for Public Hearing
Before these proposed regulations are adopted as final regulations, consideration will be given to any comments that are submitted timely to the
All comments will be available at www.regulations.gov or upon request. A public hearing will be scheduled if requested in writing by any person that timely submits comments. If a public hearing is scheduled, notice of the date, time, and place for the public hearing will be published in the
Drafting Information
The principal author of these proposed regulations is
List of Subjects in 26 CFR Part 1
Income taxes
Reporting and recordkeeping requirements
Proposed Amendments to the Regulations
Accordingly, 26 CFR part 1 is proposed to be amended as follows:
PART 1--INCOME TAXES
Par. 1. The authority citation for part 1 is amended by adding an entry in numerical order to read in part as follows:
Authority:
26 U.S.C. 7805 * * *
Section 1.1297-4 is also issued under 26 U.S.C. 1297(b)(2)(B) and 1298(g).
Par. 2. Section 1.1297-4 is added to read as follows:
section 1.1297-4 Exception from the definition of passive income for certain foreign insurance company income.
(a) Income derived in the active conduct of an insurance business. For purposes of section 1297, the term passive income does not include income earned by a foreign corporation that would be subject to tax under subchapter L if it were a domestic corporation, but only to the extent the income is derived in the active conduct of an insurance business.
(b) Definitions. The following definitions apply for purposes of paragraph (a) of this section--
(1) Active conduct. The term active conduct has the same meaning as in section 1.367(a)-2T(b)(3), except that officers and employees are not considered to include the officers and employees of related entities as provided in section 1.367(a)-2T(b)(3).
(2) Insurance business. The term insurance business means the business of issuing insurance and annuity contracts and the reinsuring of risks underwritten by insurance companies, together with those investment activities and administrative services that are required to support or are substantially related to insurance and annuity contracts issued or reinsured by the foreign corporation. For purposes of the preceding sentence--
(i) An investment activity is any activity engaged in by the foreign corporation to produce income of a kind that would be foreign personal holding company income as defined in section 954(c); and
(ii) Investment activities are required to support or are substantially related to insurance and annuity contracts issued or reinsured by the foreign corporation to the extent that income from the activities is earned from assets held by the foreign corporation to meet obligations under the contracts.
(c) Effective/applicability date. These regulations apply beginning [EFFECTIVE DATE OF FINAL RULE].
Deputy Commissioner for Services and Enforcement.
[FR Doc. 2015-09630 Filed 4-23-15;
BILLING CODE 4830-01-P
Footnotes
1. Cf. Committee on
2. Committee on
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