IRS May Consider Group Membership in Determining the Arm's Length Interest Rate for Intragroup Loans and Making a Section 482 Adjustment

As explained in an Office of Chief Counsel Memorandum released on 29 December 2023, the IRS may consider group membership in determining the arm's length rate of interest chargeable for intragroup loans and making a section 482 adjustment. The memorandum provides non-taxpayer-specific legal advice regarding the application of section 482 of the Internal Revenue Code in a case involving a forei…
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