On May 22, 2024, the IRS issued Notice 2024-44 (reproduced here), which once again extends the phase-in for Section 871(m) withholding. Broadly speaking, foreign persons may be subject to a 30% withholding tax under Section 871(m) on certain dividend equivalents paid or deemed paid to a foreign person with respect to a specified equity-linked instrument that references one or more dividend-paying U.S. equity securities. Specifically, Section 871(m) imposes withholding on (i) simple contracts with a delta of .8 or more, and (ii) complex contracts that fail to meet the substantial equivalence test. Under Notice 2024-44, Section 871(m), withholding on dividend equivalents applies only to delta-one transactions through 2026 and will not apply to other U.S. equity transactions until after 2026. Although “delta-one” has not been defined in IRS guidance, it is generally thought to mean a linear nearly one-to-one correlation. Accordingly, a delta-one transaction tracks the underlying security on a dollar-for-dollar basis.
The repeated extensions of the effective dates for the Section 871(m) regulations, which were originally published in 2015, raise concerns about their future. As previously discussed here, we view the IRS’s reluctance to finalize these regulations as an acknowledgment of the regulations’ inherent flaws, namely the substantial equivalence test’s complexity and implementation cost. Ultimately, this lack of clear guidance leaves market participants in a state of uncertainty, unsure when, if ever, these regulations will become effective.
In addition to the above, the notice further provides that:
Linda Z. Swartz
Partner
T. +1 212 504 6062
linda.swartz@cwt.com
Adam Blakemore
Partner
T. +44 (0) 20 7170 8697
adam.blakemore@cwt.com
Jon Brose
Partner
T. +1 212 504 6376
jon.brose@cwt.com
Andrew Carlon
Partner
T. +1 212 504 6378
andrew.carlon@cwt.com
Mark P. Howe
Partner
T. +1 202 862 2236
mark.howe@cwt.com
Catherine Richardson
Partner
T. +44 (0) 20 7170 8677
catherine.richardson@cwt.com
Gary T. Silverstein
Partner
T. +1 212 504 6858
gary.silverstein@cwt.com