IRS and Treasury Propose PFIC Regulations Impacting Non-U.S. Insurance and Reinsurance Companies

The U.S. Internal Revenue Service (IRS) and U.S. Department of Treasury (Treasury) recently proposed new rules potentially affecting the classification of non-U.S. insurance and reinsurance companies (including certain captive arrangements) as passive foreign investment companies (PFICs).

Read more: IRS and Treasury Propose PFIC Regulations Impacting Non-U.S. Insurance and Reinsurance Companies


Download PDF Share Back To Listing
Loading data