SIFMA Recommendations for Guidance in the 2018-19 Priority Guidance Plan

Published on:
July 16, 2018
Submitted to:
Treasury, IRS
Submitted by:
SIFMA

Summary

SIFMA provided comments to the Internal Revenue Service (IRS) and U.S. Department of Treasury (Treasury) on guidance projects in the 2018-2019 Priority Guidance Plan as requested by Notice 2018-43.

Excerpt

The Hon. David Kautter

Assistant Secretary for Tax Policy

U.S. Department of Treasury

1500 Pennsylvania Ave. NW

Washington, DC 20005

William M. Paul

Acting Chief Counsel and Deputy Chief Counsel (Technical)

Internal Revenue Service

1111 Constitution Ave NW

Washington, DC 20024

Re: SIFMA Recommendations for 2018-2019 Priority Guidance Plan

Dear Mr. Kautter and Mr. Paul:

The Securities Industry and Financial Markets Association (SIFMA) 1 welcomes the opportunity to comment on guidance projects in the 2018-2019 Priority Guidance Plan as requested by Notice 2018-43.2 As explained by the Notice, the Tax Cuts and Jobs Act, P.L. 115-97, has made it more difficult to address all of the projects included in the 2017- 2018 Priority Guidance Plan, and the IRS and Treasury Department are seeking input from taxpayers to help prioritize guidance projects in the coming year.

Please find below SIFMA’s recommended priorities arranged in categories and further prioritized within those categories. Guidance on each of these matters will resolve important questions faced by our members and the millions of taxpayers they serve as clients, reducing the tax regulatory burden for our members and their clients by clarifying existing law.

SIFMA recommends the following priorities and has commented already on many of them, as indicated in the notes below:

1. Tax Reform Regulations

a. Global Low-Taxed Intangible Income (GILTI)

b. Base Erosion Anti-Abuse Tax (Sec. 59A) (BEAT)

c. Foreign Tax Credit Limitation Rules (Sec. 904, GILTI & Branch Basket)

d. Withholding with Respect to Foreign Partners (Sec. 1446(f))3

e. Deemed Repatriation (Sec. 965)4

f. Market Discount and Original Issue Discount (OID) (Sec. 451(b))5

g. Downward Attribution Rules (repeal of Sec. 958(b)(4))

h. Regulations Under IRC Sec. 162(m)

i. Regulations Under IRC Sec. 199A

j. Unrelated Business Income Tax (UBIT) (Sec. 512(a)(6))

2. Executive Orders 137776

and 13789 Burden Reduction

a. Regulations Under IRC Section 871(m)78

b. Regulations Under IRC Section 3859 & 10

c. Foreign Account Tax Compliance Act (FATCA)11

3. Other Priority Issues

a. Regulations Under IRC Section 446

b. Regulations Under IRC Section 305(c) 12

SIFMA appreciates your consideration of these comments and we would be happy to share more background and detail about any of the matters outlined above. I can be reached at 202-962-7300 or [email protected] should you have any questions.

Sincerely,

Payson R. Peabody

Managing Director & Tax Counsel

Securities Industry and Financial Markets

Association

1 SIFMA is the voice of the U.S. securities industry. We represent the broker-dealers, banks and asset managers whose nearly 1 million employees provide access to the capital markets, raising over $2.5 trillion for businesses and municipalities in the U.S., serving clients with over $18.5 trillion in assets and managing more than $67 trillion in assets for individual and institutional clients including mutual funds and retirement plans. SIFMA, with offices in New York and Washington, D.C., is the U.S. regional member of the Global Financial Markets Association (GFMA). For more information, visit http://www.sifma.org.

2 https://www.irs.gov/pub/irs-drop/n-18-43.pdf

3 https://www.sifma.org/resources/submissions/request-for-delay-in-implementation-of-section-1446f/

4 https://www.sifma.org/resources/submissions/tcja-section-965-deemed-repatriation-tax/

5 https://www.sifma.org/resources/submissions/tax-cuts-and-jobs-act-of-2017/

6 https://www.sifma.org/resources/submissions/executive-order-13777/

7 https://www.sifma.org/resources/submissions/regulatory-project-to-reduce-burdens-under-section871m/

8 https://www.sifma.org/resources/submissions/sifma-submits-comments-to-the-irs-on-section-871mimplementation-date-delay/

9 https://www.sifma.org/resources/submissions/implementation-of-executive-order-13789-identifyingand-reducing-tax-regulatory-burdens/

10 https://www.sifma.org/resources/submissions/sifma-submits-comments-to-the-treasury-on-proposeddebt-equity-regulations-under-irc-sec-385/

11 https://www.sifma.org/resources/submissions/fatca-gross-proceeds/

12 https://www.sifma.org/resources/submissions/sifma-submits-comments-to-the-irs-on-proposedregulations-relating-to-deemed-distributions-under-code-section-305c-2/

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.