On July 12, 2024, Treasury and the IRS published proposed regulations (the “Proposed Regulations”) that would identify certain basket contract transactions as well as transactions substantially similar thereto as “listed transactions.” Generally, participants in, and material advisors to, these transactions would be required to file disclosures with the IRS pursuant to the tax shelter rules and would face penalties for failing to do so. The Proposed Regulations relate to Notice 2015-73 and Notice 2015-74 (the “Basket Notices”), which identified “basket option contracts” (“Basket Option Trades”) as “listed transactions” and “basket contracts” (“Non-Option Basket Trades”) as “transactions of interest.” Five key aspects of the Proposed Regulations are discussed below.
Commentators have widely criticized the overbreadth of the Proposed Regulations, prompting the submission of many negative comments, including some from the NYSBA, SIFMA and ISDA.
Linda Z. Swartz
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Adam Blakemore
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Mark P. Howe
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Jon Brose
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Gary T. Silverstein
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Andrew Carlon
Partner
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