Code of Federal Regulations (alpha)

CFR /  Title 26  /  Part 1  /  Sec. 1.882-0 Table of contents.

This section lists captions contained in Sec. Sec. 1.882-1, 1.882-2, 1.882-3, 1.882-4 and 1.882-5. Sec. 1.882-1 Taxation of foreign corporations engaged in U.S. business

or of foreign corporations treated as having effectively connected

(a) Segregation of income.(b) Imposition of tax.(1) Income not effectively connected with the conduct of a trade or

(1) Income not effectively connected with the conduct of a trade or

business in the United States.(2) Income effectively connected with the conduct of a trade or business

(i) In general.(ii) Determination of taxable income.(iii) Cross references.(c) Change in trade or business status. (d) Credits against tax.(e) Payment of estimated tax.(f) Effective date.

Sec. 1.882-2 Income of foreign corporation treated as effectively

(a) Election as to real property income.(b) Interest on U.S. obligations received by banks organized in

possessions.(c) Treatment of income.(d) Effective date.

(a) In general.(1) Inclusions.(2) Exchange transactions.(3) Exclusions.(b) Foreign corporations not engaged in U.S. business.(c) Foreign corporations engaged in U.S. business.(d) Effective date.

(1) Inclusions.(2) Exchange transactions.(3) Exclusions.(b) Foreign corporations not engaged in U.S. business.(c) Foreign corporations engaged in U.S. business.(d) Effective date.

Sec. 1.882-4 Allowance of deductions and credits to foreign

(a) Foreign corporations.(1) In general.(2) Return necessary.(3) Filing deadline for return.(4) Return by Internal Revenue Service.(b) Allowed deductions and credits.(1) In general.(2) Verification.

(1) In general.(2) Return necessary.(3) Filing deadline for return.(4) Return by Internal Revenue Service.(b) Allowed deductions and credits.(1) In general.(2) Verification.

(1) In general.(2) Return necessary.(3) Filing deadline for return.(4) Return by Internal Revenue Service.(b) Allowed deductions and credits.(1) In general.(2) Verification.

(a)(1) Overview.(i) In general.(ii) Direct allocations.(A) In general.(B) Partnership interests.(2) Coordination with tax treaties.(3) Limitation on interest expense.(4) Translation convention for foreign currency.(5) Coordination with other sections.(6) Special rule for foreign governments.(7) Elections under Sec. 1.882-5.(i) In general.(ii) Failure to make the proper election.(iii) Step 2 special election for banks.(8) Examples.(b) Step 1: Determination of total value of U.S. assets for the taxable

(1) Overview.(i) In general.(ii) Direct allocations.(A) In general.(B) Partnership interests.(2) Coordination with tax treaties.(3) Limitation on interest expense.(4) Translation convention for foreign currency.(5) Coordination with other sections.(6) Special rule for foreign governments.(7) Elections under Sec. 1.882-5.(i) In general.(ii) Failure to make the proper election.(iii) Step 2 special election for banks.(8) Examples.(b) Step 1: Determination of total value of U.S. assets for the taxable

(i) In general.(ii) Direct allocations.(A) In general.(B) Partnership interests.(2) Coordination with tax treaties.(3) Limitation on interest expense.(4) Translation convention for foreign currency.(5) Coordination with other sections.(6) Special rule for foreign governments.(7) Elections under Sec. 1.882-5.(i) In general.(ii) Failure to make the proper election.(iii) Step 2 special election for banks.(8) Examples.(b) Step 1: Determination of total value of U.S. assets for the taxable

(A) In general.(B) Partnership interests.(2) Coordination with tax treaties.(3) Limitation on interest expense.(4) Translation convention for foreign currency.(5) Coordination with other sections.(6) Special rule for foreign governments.(7) Elections under Sec. 1.882-5.(i) In general.(ii) Failure to make the proper election.(iii) Step 2 special election for banks.(8) Examples.(b) Step 1: Determination of total value of U.S. assets for the taxable

(i) In general.(ii) Failure to make the proper election.(iii) Step 2 special election for banks.(8) Examples.(b) Step 1: Determination of total value of U.S. assets for the taxable

(1) Classification of an asset as a U.S. asset.(i) General rule.(ii) Items excluded from the definition of U.S. asset.(iii) Items included in the definition of U.S. asset.(iv) Interbranch transactions.(v) Assets acquired to increase U.S. assets artificially.(2) Determination of the value of a U.S. asset.(i) General rule.(ii) Fair-market value election.(A) In general.(B) Adjustment to partnership basis.(iii) Reduction of total value of U.S. assets by amount of bad debt

(i) General rule.(ii) Items excluded from the definition of U.S. asset.(iii) Items included in the definition of U.S. asset.(iv) Interbranch transactions.(v) Assets acquired to increase U.S. assets artificially.(2) Determination of the value of a U.S. asset.(i) General rule.(ii) Fair-market value election.(A) In general.(B) Adjustment to partnership basis.(iii) Reduction of total value of U.S. assets by amount of bad debt

(i) General rule.(ii) Items excluded from the definition of U.S. asset.(iii) Items included in the definition of U.S. asset.(iv) Interbranch transactions.(v) Assets acquired to increase U.S. assets artificially.(2) Determination of the value of a U.S. asset.(i) General rule.(ii) Fair-market value election.(A) In general.(B) Adjustment to partnership basis.(iii) Reduction of total value of U.S. assets by amount of bad debt

(A) In general.(B) Adjustment to partnership basis.(iii) Reduction of total value of U.S. assets by amount of bad debt

(A) In general.(B) Example.(3) Computation of total value of U.S. assets.(i) General rule.(ii) Adjustment to basis of financial instruments.(c) Step 2: Determination of total amount of U.S.-connected liabilities

(i) General rule.(ii) Adjustment to basis of financial instruments.(c) Step 2: Determination of total amount of U.S.-connected liabilities

(1) General rule.(2) Computation of the actual ratio.(i) In general.(ii) Classification of items.(iii) Determination of amount of worldwide liabilities.(iv) Determination of value of worldwide assets.(v) Hedging transactions.(vi) Treatment of partnership interests and liabilities.(vii) Computation of actual ratio of insurance companies.(viii) Interbranch transactions.(ix) Amounts must be expressed in a single currency.(3) Adjustments.(4) Elective fixed ratio method of determining U.S. liabilities.(5) Examples.(d) Step 3: Determination of amount of interest expense allocable to ECI

(i) In general.(ii) Classification of items.(iii) Determination of amount of worldwide liabilities.(iv) Determination of value of worldwide assets.(v) Hedging transactions.(vi) Treatment of partnership interests and liabilities.(vii) Computation of actual ratio of insurance companies.(viii) Interbranch transactions.(ix) Amounts must be expressed in a single currency.(3) Adjustments.(4) Elective fixed ratio method of determining U.S. liabilities.(5) Examples.(d) Step 3: Determination of amount of interest expense allocable to ECI

(1) General rule.(2) U.S. booked liabilities.(i) In general.(ii) Properly reflected on the books of the U.S. trade or business of a

(i) In general.(ii) Properly reflected on the books of the U.S. trade or business of a

(A) In general.(B) Identified liabilities not properly reflected.(iii) Properly reflected on the books of the U.S. trade or business of a

(A) In general.(B) Inadvertent error.(iv) Liabilities of insurance companies.(v) Liabilities used to increase artificially interest expense on U.S.

booked liabilities.(vi) Hedging transactions.(vii) Amount of U.S. booked liabilities of a partner.(viii) Interbranch transactions.(3) Average total amount of U.S. booked liabilities.(4) Interest expense where U.S. booked liabilities equal or exceed U.S.

(i) In general.(ii) Scaling ratio.(iii) Special rules for insurance companies. (5) U.S.-connected interest rate where U.S. booked liabilities are less

than U.S.-connected liabilities.(i) In general.(ii) Interest rate on excess U.S.-connected liabilities.(A) General rule.(B) Annual published rate election.(6) Examples.(e) Separate currency pools method.(1) General rule.(i) Determine the value of U.S. assets in each currency pool.(ii) Determine the U.S.-connected liabilities in each currency pool.(iii) Determine the interest expense attributable to each currency pool.(2) Prescribed interest rate.(3) Hedging transactions.(4) Election not available if excessive hyperinflationary assets.(5) Examples.(f) Effective date.(1) General rule.(2) Special rules for financial products. [T.D. 8658, 61 FR 9329, Mar. 8, 1996; 61 FR 15891, Apr. 10, 1996, as amended by T.D. 9281, 71 FR 47448, Aug. 17, 2006; T.D. 9465, 74 FR 49317, Sept. 28, 2009]