Title 26 › Subtitle Subtitle A— - Income Taxes › Chapter CHAPTER 1— - NORMAL TAXES AND SURTAXES › Subchapter Subchapter N— - Tax Based on Income From Sources Within or Without the United States › Part PART III— - INCOME FROM SOURCES WITHOUT THE UNITED STATES › Subpart Subpart J— - Foreign Currency Transactions › § 989
Defines a "qualified business unit" as a separate, clearly identified part of a taxpayer's business that keeps its own books and records. It tells how to pick the "appropriate exchange rate": use the spot rate on the date income from an actual distribution or a sale/exchange treated as a dividend under section 1248 is included in income; use the foreign corporation’s average exchange rate for its taxable year for amounts included under sections 951(a)(1)(A) or 1293(a); and use a qualified business unit’s taxable-year average rate for other QBUs. The Secretary must write rules to make these ideas work. Those rules must cover things like procedures for QBUs that used a net‑worth method before this subpart, limits on recognizing foreign currency loss on some remittances, recharacterizing payments for obligations in hyperinflationary currencies, alternative adjustments under section 905(c), treatment of related‑party transactions (including among a taxpayer’s QBUs), and how to determine average exchange rates.
Full Legal Text
Internal Revenue Code — Source: USLM XML via OLRC
Legislative History
Reference
Citation
26 U.S.C. § 989
Title 26 — Internal Revenue Code
Last Updated
Apr 6, 2026
Release point: 119-73