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

14 May 2015

Tax Alert

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

The team

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