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Accounting Change Procedures for Qualified Foreign Plan Election Modified (Rev. Proc. 2017-59)

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The IRS has modified its procedures for obtaining consent to an accounting method change after a qualified foreign plan election. The new procedure specifies that the section 481 adjustment period with respect to a qualified foreign plan election is 15 tax  years for both positive and negative adjustments. Qualified Foreign Plan Election Employers may elect a special set […]

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