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This document contains proposed regulations regarding the base erosion and anti-abuse tax imposed on certain large corporate taxpayers with respect to certain payments made to foreign related parties. The proposed regulations relate to how qualified derivative payments with respect to securities lending transactions are determined and reported. The proposed regulations would affect corporations with substantial gross receipts that make payments to foreign related parties.
Published
Jan 14, 2025
Comments Close
Apr 14, 2025
Citation
90 FR 3085
Agencies
2
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REG-107895-24
1545-BR20
26 CFR 1