Proposed PFIC Rules Would Define “Active Conduct” of an Insurance Business | Lauzen Accounting

Proposed PFIC Rules Would Define “Active Conduct” of an Insurance Business

Millions of Taxpayer Phone Calls Went Unanswered by IRS This Tax Season

April 17, 2015

Washington Update – Tax Advocacy

April 24, 2015

Millions of Taxpayer Phone Calls Went Unanswered by IRS This Tax Season

April 17, 2015

Washington Update – Tax Advocacy

April 24, 2015

Proposed regulations would clarify the circumstances under which investment income earned by a foreign insurance company is derived in the active conduct of an insurance business for purposes of determining whether the income is passive income.

Source:: AICPA – Tax

Comments are closed.