Highlights: U.S. International Tax – Section 898(c)(2) Repeal – Impact to CFC Tax Years
The repeal of Section 898(c)(2) in the One Big Beautiful Bill Act (OBBBA) marks a significant shift in U.S. international tax law, eliminating the one-month tax year deferral for Controlled Foreign Corporations (CFCs). This change introduces complex challenges for income timing, foreign tax credit allocation, and overall compliance.
To help you navigate this new landscape, Bloomberg Tax developed Highlights: U.S. International Tax – Section 898(c)(2) Repeal – Impact to CFC Tax Years, a comprehensive report to help you understand the repeal and stay compliant.
Key topics include:
- Planning for short taxable years
- Guidance on foreign tax allocation
- Foreign currency adjustments through updates to §987 regulations
- IRS guidance (Notice 2025-72)
Download your complimentary copy today for in-depth analysis of key repeal impacts and strategic guidance.