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  2. Section 163 (j), which was modified by the 2017 tax reform legislation and the CARES Act, generally limits US business interest expense deductions to the sum of business interest income, 30% (or 50%, as applicable) of adjusted taxable income, and the taxpayer’s floor plan financing interest for the tax year.
    www.pwc.com/us/en/services/tax/library/practical-considerations-from-the-2021-final-sec-163j-regulation.html
    www.pwc.com/us/en/services/tax/library/practical-considerations-from-the-2021 …
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  3. People also ask
    When will the IRS release final regulations under Section 163(J)?Today, Treasury and the IRS released Final Regulations under Section 163 (j). Treasury previously released proposed regulations under Section 163 (j) on July 28, 2020 (published on September 14, 2020 in the Federal Register).
    When did Section 163(J) expire?The Treasury Department and the IRS issued final regulations under section 163 (j) in September 2020 and January 2021. See Treasury Decisions 9905 and 9943. These questions and answers address the section 163 (j) limitation after amendments by the TCJA and the CARES Act.
    What are the new section 163(J) regulations?The new regulations provide rules regarding the application of the Section 163 (j) limitation to foreign corporations and U.S. shareholders. In addition, the new regulations reserve on the application of Section 163 (j) to nonresident aliens and foreign corporations.
    When will Section 163(J) be amended?On March 27, 2020, section 163 (j) was further amended by the Coronavirus Aid, Relief, and Economic Security Act (CARES Act). The Treasury Department and the IRS issued final regulations under section 163 (j) in September 2020 and January 2021.
     
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