Dec 20, 2018 13:00
On November 26, 2018, the Treasury Department and IRS released section 163(j) proposed regulations. The more than 430-page package reflects the next step in the implementation of significant new business interest limitations enacted as part of the 2017 U.S. tax law, and follows the issuance earlier this year of IRS Notice 2018-28.
KPMG LLP (KPMG) is pleased to invite you to a 90-minute webcast that will provide an overview of the proposed regulations’ potential impact on U.S. domestic business. (The international tax implications of section 163(j) were discussed on a December 6 KPMG TaxWatch Webcast. Watch replay here.) In this webcast, speakers from KPMG’s Washington National Tax practice will discuss: