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Transfers of Certain Property by U.S. Persons to Partnerships With Related Foreign Partners; Correction

---
identifier: "/us/fr/2017-18691"
source: "fr"
legal_status: "authoritative_unofficial"
title: "Transfers of Certain Property by U.S. Persons to Partnerships With Related Foreign Partners; Correction"
title_number: 0
title_name: "Federal Register"
section_number: "2017-18691"
section_name: "Transfers of Certain Property by U.S. Persons to Partnerships With Related Foreign Partners; Correction"
positive_law: false
currency: "2017-09-05"
last_updated: "2017-09-05"
format_version: "1.1.0"
generator: "[email protected]"
agency: "Treasury Department"
document_number: "2017-18691"
document_type: "rule"
publication_date: "2017-09-05"
agencies:
  - "Treasury Department"
  - "Internal Revenue Service"
cfr_references:
  - "26 CFR Part 1"
rin: "1545-BM95"
fr_citation: "82 FR 41885"
fr_volume: 82
docket_ids:
  - "TD 9814"
effective_date: "2017-09-05"
fr_action: "Final and temporary regulations; correcting amendment."
---

#  Procedural and reporting requirements (temporary).

**AGENCY:**

Internal Revenue Service (IRS), Treasury.

**ACTION:**

Final and temporary regulations; correcting amendment.

**SUMMARY:**

This document contains corrections to the temporary regulations (T.D. 9814) that were published in the *Federal Register* on Thursday, January 19, 2017 (82 FR 7582). The regulations address transfers of appreciated property by United States persons to partnerships with foreign partners related to the transferor. The regulations override the rules providing for nonrecognition of gain on a contribution of property to a partnership in exchange for an interest in the partnership under section 721(a) of the Internal Revenue Code (Code) pursuant to section 721(c) unless the partnership adopts the remedial method and certain other requirements are satisfied.

**DATES:**

These corrections are effective on September 5, 2017 and applicable on January 18, 2017.

**FOR FURTHER INFORMATION CONTACT:**

Ronald M. Gootzeit, (202) 317-6937 (not a toll-free number).

**SUPPLEMENTARY INFORMATION:**

**Background**

The temporary regulations that are the subject of this correction are under section 721(c) of the Code.

**Need for Correction**

As published, the temporary regulations contain errors that may prove to be misleading and need to be clarified.

**List of Subjects in 26 CFR Part 1**

Income taxes, Reporting and recordkeeping requirements.

**Correction of Publication**

Accordingly, 26 CFR part 1 is corrected by making the following correcting amendments:

**PART 1—INCOME TAXES**

**26 CFR Part 1**

*Paragraph 1.* The authority citation for part 1 continues to read in part as follows:

**Authority:**

26 U.S.C. 7805 * * *

**26 CFR Part 1**

*Par. 2.* Section 1.721(c)-1T is amended by revising paragraph (b)(10)(vi) to read as follows:

§ 1.721(c)-1T

(b) * * *

(10) * * *

(vi) An allocation of partnership level ordinary income or loss described in § 1.751-1(b)(3).

**26 CFR Part 1**

*Par. 3.* Section 1.721(c)-6T is amended by revising the last sentence of paragraph (d)(2) to read as follows:

§ 1.721(c)-6T

(d) * * *

(2) * * * The partnership must also attach to its Form 1065 a Schedule K-1 (Form 1065) for each direct or indirect partner that is a related foreign person with respect to the U.S. transferor.

Martin V. Franks,

Chief, Publications and Regulations Branch, Legal Processing Division, Associate Chief Counsel, Procedure and Administration.