Tax Insights Proposed Regulations:
Debt vs. Equity
Proposed regulations re-characterizing related party debt as equity may yield unanticipated tax consequences THE UNITED STATES TREASURY DEPARTMENT (Treasury) proposed regulations on April 4, 2016, that re-characterize some related-party debt as equity. The re-characterization of debt as equity will tend to increase tax costs. The proposed regulations are slated to take effect Sept. 5, 2016, and apply to any related party debt issued on or after April 4, 2016. At their simplest, these rules will greatly increase the burden on companies whose intercompany debt is for sound business reasons with no tax motivation. At the most invasive, debt will effectively be prohibited in certain types of transactions without regard to purpose or validity.
Expanded Group Instrument Criteria is Crucial THE PROPOSED REGULATIONS APPLY to what is deemed an Expanded Group (EG). An EG consists of a parent corporation and any corporation that is at least 80 percent owned – either through vote or value – by the parent corporation. The following provisions apply: • • • •
Foreign corporations are included. A foreign corporation can be the parent corporation. Ownership chains that are broken by partnerships are included. U.S. companies not allowed to consolidate (REITs, RICs, insurance companies, etc.) are included. • U.S. corporations that file a consolidated return are treated as a single entity; therefore, debt within the consolidated group is not affected. A debt instrument used among EG members is regarded as an Expanded Group Instrument (EGI).
Prohibited Leveraging Transactions Defined THE PROPOSED REGULATIONS DEFINE prohibited leveraging transactions based on two rules. Under the General Rule, related party debt is automatically re-characterized as equity if it is issued in: • A distribution. • Certain exchanges for related-party stock. • Exchange for property in certain asset reorganizations. A Funding Rule also applies to related party funding of similar transactions. With that rule, debt is regarded as equity if it is issued 36 months before or after a distribution or asset acquisition.