Final Regulations Under Section 1446(f) Request for Delay

Published on:
August 5, 2021
Submitted to:
IRS, Treasury
Submitted by:
SIFMA

Summary

SIFMA submits letter to the U.S. Department of the Treasury (Treasury) and the Internal Revenue Service (IRS) requesting an extension of the effective date of withholding under section 1446(f) with respect to transfers of interests in publicly traded partnerships (PTPs) until January 1, 2023.

Excerpt

August 5, 2021

Mr. Peter Blessing

Office of Chief Counsel, International

Associate Chief Counsel

Internal Revenue Service

1111 Constitution Avenue, NW

Washington, DC 20224

Mr. Kevin Nichols

International Tax Counsel, Office of Tax Policy

U.S. Department of the Treasury

1500 Pennsylvania Avenue, NW

Washington, DC 20224

Ms. Erika Nijenhuis

Senior Counsel, Office of Tax Policy

U.S. Department of the Treasury

1500 Pennsylvania Avenue, NW

Washington, DC 20224

Mr. Ronald Gootzeit

Office of Associate Chief Counsel, International

Counsel, Branch 4

Internal Revenue Service

1111 Constitution Avenue, NW

Washington, DC 20224

Ms. Kamela Nelan

Attorney-Advisory, Office of Tax Policy

U.S. Department of the Treasury

1500 Pennsylvania Avenue, NW

Washington, DC 20224

Mr. John Sweeney

Office of Associate Chief Counsel, International

Special Counsel

Internal Revenue Service

1111 Constitution Avenue, NW

Washington, DC 20224

Mr. Subin Seth

Office of Associate Chief Counsel, International

Senior Counsel

Internal Revenue Service

1111 Constitution Avenue, NW

Washington, DC 20224

Re: Final Regulations Under Section 1446(f) – Request for Delay

Dear Ladies & Gentlemen:

The Securities Industry and Financial Markets Association (“SIFMA”)1 appreciates your consideration of our comments on the proposed regulations under section 1446(f) relating to transfers of interests in publicly traded partnerships (“PTPs”) by foreign persons as well as our subsequent letter on the final regulations sent on February 24th, 2021 (attached, for reference). While we understand that you are still reviewing our most recent submission, SIFMA would like to reiterate the following concerns that our members view as in need of clarification in order to properly implement the regulations. We fully acknowledge and commend you for the work that

went into drafting and finalizing these regulations as well as the continued engagement of the Treasury Department (“Treasury”) and the Internal Revenue Service (“IRS”) as our members work to operationalize the regulations.

Continue Reading

Details

Download

More Content

  • Amicus Briefs
    Oct 05, 2026

    In re The Boeing Company Securities Litigation

  • Letters
    Oct 05, 2026

    Reducing Duplicative Regulation and Expanding Exemptions for Commodity Pool Operators and Commodity Trading Advisors

    SIFMA AMG comments on CFTC proposals to reduce duplicative regulation for certain CPOs and CTAs and account for inflation.
  • Letters
    Sep 30, 2026

    Proposed Rule Change to Amend FINRA Rules 0150, 2165, 4512 and to Adopt FINRA Rule 2166

    SIFMA Comments to SEC in support of the proposed rule changes to improve the utilization of Rules 2165 and 4512, as well as the new Rule 2166 to allow for a temporary delay for suspected fraud.

Get the latest trends, stats, and research on financial markets and securities.