IRS Schedules Hearing on Tax Rules for Foreign Earnings and Profits
Published Date: 9/8/2025
Proposed Rule
Summary
The government is holding a public hearing about new rules for how companies handle profits they've already paid taxes on, especially from foreign businesses. These changes could affect how companies calculate their taxes and adjust their financial records. If you’re a business owner or tax pro, keep an eye on the dates and details to stay ahead of the game!
No Economic Impacts Identified for this Document
Personalized for You
How does this regulation affect your finances?
Personalize government policy and PRIA will tell you what this federal register document means for your household, plus every other regulation we track. PRIA reads each provision against your financial profile to show you exactly what matters to your wallet.
Key Dates
Department and Agencies
Related Federal Register Documents
2026-11140, Federal Independent Dispute Resolution Operations
Starting soon, health plans and insurers must share clearer info when they pay or deny surprise medical bills. They’ll use special codes to explain these decisions, especially when dealing with folks they don’t have contracts with. This helps patients and providers understand bills better and speeds up fixing disputes, with no extra costs for most people.
2025-18278, Occupations That Customarily and Regularly Received Tips; Definition of Qualified Tips
If you earn tips at work, these new rules show which jobs count as tip-earning and explain what counts as 'qualified tips' for tax deductions. The changes apply to tips received up to December 31, 2024, helping workers and employers know exactly what tips can lower their taxes. Get ready to keep better track of your tips and maybe save some money when tax time rolls around!
2025-02251, Administrative Requirements for an Election To Exclude Applicable Unincorporated Organizations From the Application of Subchapter K; Hearing Cancellation
If you run an unincorporated organization, new rules are coming to help you skip some tricky partnership tax laws. These changes explain how to make that election properly, so you don’t get caught in confusing tax stuff. No extra fees or deadlines yet, but keep an eye out for updates to stay ahead!
2026-16769, Proposed Removal of a Reporting Requirement for Trusts Whose Charitable Contribution Deductions Are Solely for Contributions Made by Passthrough Entities
This document contains proposed regulations that would amend existing regulations that require certain trusts to report all charitable contributions and amounts permanently set aside for a charitable purpose on Form 1041-A, U.S. Information Return Trust Accumulation of Charitable Amounts. The proposed regulations would remove the reporting requirement for these trusts with respect to taxable years in which the trust's only claimed charitable contribution deduction results from charitable contributions made by a passthrough entity in which the trust owns an interest. The proposed regulations would also modify the existing regulations to clarify that split-interest trusts satisfy their filing obligations by filing Form 5227, Split-Interest Trust Information Return, rather than Form 1041-A. The proposed regulations would affect certain trusts that are required to report all charitable contributions and amounts permanently set aside for a charitable purpose.
2026-16569, Foreign Currency Gain or Loss of Controlled Foreign Corporations
This document contains proposed regulations providing rules relating to the determination and recognition of foreign currency gain or loss with respect to qualified business units ("QBUs") of controlled foreign corporations ("CFCs"). The proposed regulations provide an election under which a CFC generally would not be required to compute or recognize foreign currency gain or loss upon a remittance from a QBU, except in connection with certain inbound nonrecognition transactions.
2026-16397, Agency Information Collection Activities: Comment Request on the Burden Related to the Application for Determination for Employee Benefit Plan
In accordance with the Paperwork Reduction Act of 1995, the IRS is inviting comments on the information collection request outlined in this notice.
Previous / Next Documents
Previous: 2025-17179, Airworthiness Directives; The Boeing Company Airplanes
The FAA wants Boeing 757-200 and -300 planes to update their maintenance rules to keep flying safe. This means owners must follow new, stricter inspection schedules soon to avoid problems. These changes help prevent safety issues and keep everyone on board secure without big costs or delays.
Next: 2025-17246, Airworthiness Directives; Bombardier, Inc., Airplanes
If you own or work with Bombardier BD-700-2A12 airplanes, listen up! The FAA wants you to update your maintenance plans with new, stricter rules to keep these planes safe. This change means following fresh inspection steps soon, helping prevent problems before they happen—no surprise costs yet, but staying on schedule is key!