IRS Guidance Fills Out Grecian Magnesite's Statutory Repeal

By JoonBeom Pae, Kenneth Klein, James Barry and Isaac Maron (January 22, 2019, 6:09 PM EST) -- On Dec. 20, 2018, the U.S. Department of the Treasury and the Internal Revenue Service released proposed regulations on the treatment of a foreign partner's transfer of an interest in a partnership that is engaged in the conduct of a trade or business in the United States.[1] The proposed regulations provide much-awaited guidance to Internal Revenue Code Section 864(c)(8), a new code section introduced by the 2017 Tax Cuts and Jobs Act.[2] If the proposed regulations are finalized by June 22, 2019, then they would be retroactively effective as of Nov. 27, 2017. If they are not finalized by such date, then they would prospectively be effective as of Dec. 20, 2018. This article provides an overview of certain aspects of the proposed regulations....

Law360 is on it, so you are, too.

A Law360 subscription puts you at the center of fast-moving legal issues, trends and developments so you can act with speed and confidence. Over 200 articles are published daily across more than 60 topics, industries, practice areas and jurisdictions.


A Law360 subscription includes features such as

  • Daily newsletters
  • Expert analysis
  • Mobile app
  • Advanced search
  • Judge information
  • Real-time alerts
  • 450K+ searchable archived articles

And more!

Experience Law360 today with a free 7-day trial.

Start Free Trial

Already a subscriber? Click here to login

Hello! I'm Law360's automated support bot.

How can I help you today?

For example, you can type:
  • I forgot my password
  • I took a free trial but didn't get a verification email
  • How do I sign up for a newsletter?
Ask a question!