1.367(b)-9—Special rule for F reorganizations and similar transactions.
(a) Scope.
This section applies to a foreign section 381 transaction (as defined in § 1.367(b)-7(a)) either—
(i)
At least one foreign corporation that holds no property and has no tax attributes immediately before the transaction, other than a nominal amount of assets (and related tax attributes) to facilitate its organization or preserve its existence as a corporation; and
(ii)
No more than one foreign corporation that holds more than a nominal amount of property or has more than a nominal amount of tax attributes immediately before the transaction.
(b) Hovering deficit rules inapplicable.
If a transaction is described in paragraph (a) of this section, a foreign surviving corporation shall succeed to earnings and profits, deficits in earnings and profits, and foreign income taxes without regard to the hovering deficit rules of § 1.367(b)-7(d)(2), (e)(1)(iii), and (e)(2)(iii).
Code of Federal Regulations
| Separate Category | E&P | Foreign taxes |
|---|---|---|
| Passive | (1,000u) | $5 |
| General | 200u | 200 |
| (800u) | 205 |
| Separate category | E&P | Foreign taxes |
|---|---|---|
| Passive | (1,000u) | $5 |
| General | 200u | 200 |
| (800u) | 205 |
Code of Federal Regulations
Code of Federal Regulations
395
| E&P | Foreign taxes | |
|---|---|---|
| Foreign corporation C Separate Category: | ||
| Passive | (900u) | $50 |
| General | (200u) | 100 |
| (1100u) | 150 | |
| Foreign corporation D Separate Category: | ||
| Passive | 1200u | 400 |
| General | 400u | 100 |
| 1600u | 500 |
| Separate Category | Earnings & profits | Foreign taxes | ||
|---|---|---|---|---|
| Positive E&P | Hovering deficit | Foreign taxes available | Foreign taxes associated with hovering deficit | |
| General | 1200u | (900u) | $400 | $50 |
| Passive | 400u | (200u) | 100 | 100 |
| 1600u | (1100u) | 500 | 150 | |
(e) Effective date.
This section shall apply to section 367(b) transactions that occur on or after November 6, 2006.