KPMG report: Determination under section 987 of taxable income or loss and foreign currency gain or loss with respect to a QBU
Analysis and observations of final and proposed regulations
The U.S. Treasury Department and IRS on December 10, 2024, released final and proposed regulations relating to the determination under section 987 of taxable income or loss and foreign currency gain or loss with respect to a qualified business unit (QBU).
Read a December 2024 report prepared by KPMG LLP that provides analysis and observations of the final and proposed regulations under section 987, including implementation of the foreign exchange exposure pool (FEEP) method.