Micro-Captive Transaction Regulations Classifying Them as Listed Transactions or Transactions of Interest Released by the IRS
The Internal Revenue Service (IRS) has issued final regulations (TD 10029) that identify certain micro-captive transactions as listed transactions and transactions of interest, both of which are types of reportable transactions. These regulations, which are effective January 14, 2025, require material advisors and certain participants to file disclosures with the IRS, with penalties for non-compliance. This article provides an overview of these regulations and their implications for CPAs and their clients.
Read More