81_FR_44639 81 FR 44508 - Method of Accounting for Gains and Losses on Shares in Money Market Funds; Broker Returns With Respect to Sales of Shares in Money Market Funds

81 FR 44508 - Method of Accounting for Gains and Losses on Shares in Money Market Funds; Broker Returns With Respect to Sales of Shares in Money Market Funds

DEPARTMENT OF THE TREASURY
Internal Revenue Service

Federal Register Volume 81, Issue 131 (July 8, 2016)

Page Range44508-44515
FR Document2016-16149

This document contains final regulations that provide a simplified method of accounting for gains and losses on shares in money market funds (MMFs). The final regulations also provide guidance regarding information reporting requirements for shares in MMFs. The final regulations respond to Securities and Exchange Commission (SEC) rules that change the amount for which certain MMF shares are distributed, redeemed, and repurchased. The final regulations affect MMFs and their shareholders.

Federal Register, Volume 81 Issue 131 (Friday, July 8, 2016)
[Federal Register Volume 81, Number 131 (Friday, July 8, 2016)]
[Rules and Regulations]
[Pages 44508-44515]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-16149]


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DEPARTMENT OF THE TREASURY

Internal Revenue Service

26 CFR Part 1

[TD 9774]
RIN 1545-BM04


Method of Accounting for Gains and Losses on Shares in Money 
Market Funds; Broker Returns With Respect to Sales of Shares in Money 
Market Funds

AGENCY: Internal Revenue Service (IRS), Treasury.

ACTION: Final regulations.

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SUMMARY: This document contains final regulations that provide a 
simplified method of accounting for gains and losses on shares in money 
market funds (MMFs). The final regulations also provide guidance 
regarding information reporting requirements for shares in MMFs. The 
final regulations respond to Securities and Exchange Commission (SEC) 
rules that change the amount for which certain MMF shares are 
distributed, redeemed, and repurchased. The final regulations affect 
MMFs and their shareholders.

DATES: Effective date: These regulations are effective on July 8, 2016.
    Applicability dates: For the dates of applicability, see Sec. Sec.  
1.446-7(e) and 1.6045-1(c)(3)(vi)(B).

FOR FURTHER INFORMATION CONTACT: Grace Cho at (202) 317-6895 (not a 
toll-free number).

SUPPLEMENTARY INFORMATION:

Background

    This document contains amendments to 26 CFR part 1 (Income Tax 
Regulations) under sections 446 and 6045 of the Internal Revenue Code 
(Code). The regulations provide a method of accounting for gain or loss 
on shares in MMFs and are intended to simplify tax compliance for 
holders of shares in MMFs affected by SEC regulations that impose 
liquidity fees or change how certain MMF shares are priced. See Money 
Market Fund Reform; Amendments to Form PF, Securities Act Release No. 
33-9616, Investment Advisers Act Release No. IA-3879, Investment 
Company Act Release No. IC-31166, Financial Reporting Codification No. 
FR-84 (August 14, 2014) (SEC MMF Reform Rules). The regulations also 
provide guidance regarding information reporting requirements for 
shares in MMFs.
    An MMF is a type of investment company registered under the 
Investment Company Act of 1940 (1940 Act) and regulated as an MMF under 
Rule 2a-7 under the 1940 Act (17 CFR 270.2a-7). MMFs have historically 
sought to keep stable the prices at which their shares are distributed, 
redeemed, and repurchased. The securities that Rule 2a-7 permits an MMF 
to hold generally result in no more than minimal fluctuations in the 
MMF's net asset value per share (NAV).\1\
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    \1\ Note that the term ``NAV'' is used throughout this document 
to indicate the per-share amount that may be described elsewhere as 
``NAV per share.''
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    MMFs meeting the requirements of Rule 2a-7 have been permitted to 
value their assets based on the assets' cost, with certain adjustments 
(amortized cost method), and to price their shares by rounding the 
resulting NAV to the nearest 1 percent (penny rounding). These methods 
have enabled MMFs to maintain constant share prices in almost all 
circumstances. Because most MMFs target a $1.00 share price, an MMF 
that fails to maintain a constant share price is said to ``break the 
buck.''
    The SEC MMF Reform Rules generally bar the use of the amortized 
cost method and penny rounding for certain MMFs (floating-NAV MMFs) and 
require a floating-NAV MMF to value its assets using market factors and 
to round its price per share to the nearest basis point (the fourth 
decimal place, in the case of a fund with a $1.0000 share price). 
Certain government-security-focused MMFs (government MMFs) and certain 
MMFs the beneficial owners of which are limited to natural persons 
(retail MMFs) may continue to use the amortized cost method and penny 
rounding. (A government MMF or retail MMF that continues to use the 
amortized cost method and penny rounding is called a stable-NAV MMF.)
    The SEC MMF Reform Rules also establish circumstances under which 
an MMF is permitted or required to impose a liquidity fee or is 
permitted to impose a redemption gate. When an MMF has a liquidity fee 
in effect, the liquidity fee reduces the proceeds received by all 
redeeming shareholders. A redemption gate is the temporary suspension 
of redemptions of shares in the MMF. Liquidity fees and redemption 
gates

[[Page 44509]]

may be imposed by both floating-NAV MMFs and stable-NAV MMFs. An MMF 
other than a government MMF is required to impose a liquidity fee in 
certain circumstances, unless the fund's board of directors determines 
that such a fee is not in the best interests of the fund.
    The Treasury Department and the IRS published a notice of proposed 
rulemaking and notice of public hearing (REG-107012-14) in the Federal 
Register on July 28, 2014 (79 FR 43694). The proposed regulations 
described a simplified method of accounting for gain or loss on shares 
in a floating-NAV MMF (the net asset value method, or NAV method). 
Under the NAV method, a taxpayer's gain or loss on shares in an MMF is 
based on the change in the aggregate value of the taxpayer's shares 
during a computation period selected by the taxpayer and on the net 
amount of the purchases and redemptions during the computation period. 
The proposed regulations also provided guidance regarding information 
reporting requirements for shares in MMFs.
    A request for a public hearing was received, and the hearing was 
held on November 19, 2014. The IRS received written comments responding 
to the proposed regulations regarding the method of accounting for 
gains and losses on shares in MMFs. The written comments are available 
for public inspection at http://www.regulations.gov or upon request. 
After considering the comments, the Treasury Department and the IRS 
adopt the proposed regulations regarding the method of accounting as 
final regulations with the modifications described in this Treasury 
decision. No comments were received on the portion of the proposed 
regulations that would revise Sec.  1.6045-1(c)(3)(vi) to clarify that 
the exceptions under sections 6045, 6045A, and 6045B continue to apply 
to all MMFs, including floating-NAV MMFs. The Treasury Department and 
the IRS adopt the proposed regulations revising Sec.  1.6045-
1(c)(3)(vi) as final regulations without substantive change.

Summary of Comments and Explanation of Revisions

1. Application of the NAV Method to Stable-NAV MMFs

    Under the proposed regulations, the NAV method would apply only to 
floating-NAV MMF shares. In the preamble to the proposed regulations, 
the Treasury Department and the IRS requested comments regarding 
whether the NAV method should be a permissible method of accounting for 
stable-NAV MMF shares.
    Although stable-NAV MMFs seek to maintain constant share prices, 
there are circumstances in which shares in a stable-NAV MMF will give 
rise to gain or loss. On rare occasions, shares in a stable-NAV MMF may 
be redeemed at a price other than the target price, such as when the 
MMF breaks the buck. In addition, a stable-NAV MMF may impose liquidity 
fees, which will generally result in the realization of a loss by a 
redeeming shareholder. If the acquisition of other shares causes such a 
redemption to be a wash sale under section 1091, section 1091(d) will 
generally cause the basis of the acquired shares to exceed the cost of 
the shares. Because the price of a stable-NAV MMF share rarely changes, 
any disposition of those acquired, higher-basis shares will likely 
result in another loss, which also may be deferred by the wash sale 
rules. Therefore, even if a liquidity fee is in effect for only one 
redemption by a shareholder and the share price of the MMF remains 
constant, that fee may cause a difference between the basis and value 
of the shareholder's MMF shares that persists indefinitely. Determining 
gain or loss and basis on each transaction in a stable-NAV MMF, taking 
into account the wash sale rules, would impose significant burdens on 
shareholders under these circumstances. To eliminate those burdens, a 
shareholder might need to terminate the shareholder's entire interest 
in the affected MMF (and not initiate a new position until after the 
end of the period described in section 1091(a)).
    Commenters recommended that the NAV method be applicable not only 
to shares in floating-NAV MMFs but also to shares in stable-NAV MMFs. 
The commenters added that many shareholders of stable-NAV MMFs may be 
retail shareholders (generally, individuals) who are likely to rely 
upon the cost basis reporting provided by funds or brokers for their 
other mutual funds. Those individuals are unlikely to have the systems 
necessary to record gains and losses and to track wash sales and the 
resulting basis adjustments.
    The NAV method would reduce the complexity, and any tax-based 
motivation to terminate investments in MMFs, that would result from the 
imposition of a liquidity fee by a stable-NAV MMF. Under the NAV 
method, any loss that resulted from the imposition of a liquidity fee 
by an MMF would be determined for a shareholder's entire interest in 
the MMF (or in an account) for the appropriate taxable year (or 
computation period) rather than for a single transaction. Therefore, 
the wash sale rules would not defer the loss. The NAV method also 
requires fewer and simpler computations than traditional accounting, 
even if there are no wash sales. For the years after an MMF breaks the 
buck or imposes a liquidity fee, the NAV method simplifies 
recordkeeping, because the gain or loss for each year is based on 
changes in the NAV during that year. Therefore, the final regulations 
permit taxpayers to apply the NAV method to shares in stable-NAV MMFs.

2. Consistency Requirement

    The proposed regulations would provide that if a taxpayer applies 
the NAV method to shares in any MMF for a taxable year, the taxpayer 
must apply the NAV method to its shares in all MMFs for which that 
method is permissible.
    Commenters requested that the final regulations permit taxpayers to 
apply different methods to shares in different MMFs or to shares in a 
single MMF held in different accounts. Commenters said that some 
taxpayers may receive sufficient information about their shares in 
certain MMFs to compute gain or loss realized on each transaction and 
that those taxpayers should be permitted to compute gain or loss 
realized on each transaction for those MMFs.
    Commenters also noted that taxpayers may hold shares in a single 
MMF through different kinds of accounts (for example, an account with a 
broker and an account with the MMF itself) and may receive different 
information for the different accounts. The commenters recommended 
that, because of that possibility, taxpayers should be permitted to use 
different accounting methods for shares held in different accounts. 
Commenters also noted that many MMF shareholders will be large 
institutional investors, which might hold shares in the same MMF 
through separate accounts controlled by different divisions.
    In response to these comments, the final regulations permit MMF 
shareholders to use different methods of accounting for shares in 
different MMFs or for shares in a single MMF held in different 
accounts.

3. Choosing NAV Method Computation Periods for RIC Excise Tax Purposes

    Under the NAV method, computation periods are the periods that a 
taxpayer selects for computing gain and loss for an MMF. The proposed 
regulations would provide that computation periods may be the 
taxpayer's taxable year or a shorter period, provided that (i) 
computation periods are of approximately equal duration, (ii) every day 
during the taxable year falls within one, and only one, computation 
period,

[[Page 44510]]

and (iii) each computation period contains days from only one taxable 
year.
    Most regulated investment companies (RICs) must pay an excise tax 
under section 4982 if they do not make the required distribution 
described in section 4982(b) for a calendar year. The required 
distribution is generally 98 percent of the RIC's ordinary income for 
the calendar year, plus 98.2 percent of the RIC's capital gain net 
income for the one-year period ending on October 31 of the calendar 
year. A commenter requested clarification that a RIC that holds MMF 
shares may use the NAV method for excise tax computations. That 
commenter also requested that the Treasury Department and the IRS 
confirm that a RIC that uses the NAV method is permitted to use the 
one-year period from November 1 to October 31 as its computation period 
for excise tax purposes. The commenter explained that RICs generally 
account for items that are marked to market using two different one-
year periods for income tax and excise tax purposes. The commenter 
explained that, under section 4982(e)(2)(A), the term ``capital gain 
net income'' when used in section 4982 is determined by treating the 
one-year period ending on October 31 of any calendar year as the 
company's taxable year.
    The Treasury Department and the IRS agree that the NAV method 
should be applicable for purposes of the computations required by 
section 4982 and that the taxable year for purposes of those 
computations should be the relevant period under section 4982(e). The 
final regulations adopt this change.
    The final regulations, however, require a RIC to be consistent in 
applying the NAV method to MMF shares for income tax and excise tax 
purposes. For each MMF in each account, the final regulations generally 
require a RIC to use the NAV method either for both income tax and 
excise tax computations or for neither computation. The final 
regulations also clarify how a RIC may change to or from the NAV 
method.
    The final regulations require a RIC to use the same computation 
periods for purposes of both excise tax and income tax computations. 
Therefore, under the final regulations, a RIC using the NAV method for 
its shares in an MMF generally treats the one-year period for which 
gain or loss from the MMF would be included in the amount determined 
under section 4982(e)(2) or (e)(6) (the section 4982 period) like a 
taxable year in applying the NAV method to determine the RIC's required 
distribution under section 4982(b).\2\ The RIC, however, may not use 
the section 4982 period as a computation period for excise tax purposes 
if the section 4982 period contains days from more than one income tax 
year.\3\ Instead, in this situation, the RIC must divide the section 
4982 period into at least two computation periods so that each 
computation period contains days from only one income tax year. 
Similarly, the RIC may not use its full income tax year as a 
computation period for income tax purposes if the year contains days 
from more than one section 4982 period. These consistency requirements 
simplify and clarify the interaction of sections 852(b) and 4982.
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    \2\ If a RIC has not made an election under section 4982(e)(4), 
the RIC's section 4982 period is the one-year period ending on 
October 31, because that is the period for determining capital gain 
net income under section 4982(e)(2) and (because the final 
regulations concerning the NAV method constitute a specified mark to 
market provision for purposes of section 4982(e)(6)(B)) ordinary 
income under 4982(e)(6)(A).
    \3\ The section 4982 period will contain days from only one 
income tax year if (i) the RIC has in effect a valid election under 
section 4982(e)(4) or (ii) the RIC's income tax year ends on October 
31.
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    The final regulations eliminate the requirement that computation 
periods be of approximately equal duration. The Treasury Department and 
the IRS do not believe that this requirement is essential to the 
operation of the NAV method, and eliminating the requirement will allow 
taxpayers more flexibility. In particular, permitting computation 
periods of unequal duration will reduce the burden on RICs of complying 
with the requirement of consistent computation periods for income and 
excise tax purposes. For example, a RIC that applies the NAV method to 
its shares in an MMF (held as a capital asset) and that has an income 
tax year ending on January 31 may meet the consistency requirements 
with two computation periods of unequal duration--one ending on January 
31 and the other on October 31. The RIC also may use additional 
computation periods ending on other dates, such as December 31.

4. Clarification of Certain Amounts

A. Fair Market Value of MMF Shares
    Under the proposed regulations, gain and loss under the NAV method 
would be determined by reference to the fair market value of MMF 
shares. Commenters requested that the Treasury Department and the IRS 
clarify that the fair market value of an MMF share for this purpose is 
the NAV reported by the MMF. One commenter suggested that the fair 
market value of a share in an MMF should be the published NAV as of the 
end of the relevant day (or the next trading day, if the day in 
question is not a trading day). A second commenter suggested that, 
because MMFs may strike several NAVs throughout the day, the fair 
market value should be the next published NAV after a transaction.
    In response to these comments, the final regulations clarify that 
the fair market value of a share in an MMF at the time of a transaction 
is presumed to be the published NAV (or other published amount for 
which the MMF would redeem the share, determined without regard to any 
liquidity fees (other redemption amount)). For purposes of computing 
the ending value for a computation period, the presumption applies to 
the last published NAV (or other redemption amount) in that computation 
period. For purposes of determining the fair market value of MMF shares 
surrendered or received in a redemption or exchange, the presumption 
generally applies to the NAV (or other redemption amount) used to 
determine the consideration received in the transaction, or if the 
consideration is not based on a published NAV (or other redemption 
amount), the first NAV (or other redemption amount) published for the 
MMF shares after the transaction. If no NAV (or other redemption 
amount) is published, or if facts and circumstances indicate that the 
NAV (or other redemption amount) does not represent the fair market 
value of a share in the MMF, the fair market value is determined on the 
basis of all the facts and circumstances.
B. Aggregate Amount Received
    Under the proposed regulations, a taxpayer's net investment in an 
MMF for a computation period would equal the aggregate cost of shares 
in the MMF purchased during the computation period, minus the aggregate 
amount received during the computation period in redemption of shares 
in the MMF, subject to certain adjustments. A commenter suggested that 
the final regulations clarify that the aggregate amount received is 
based on: (i) If cash is received, the cash proceeds, (ii) if shares in 
another MMF are received, the published NAV of the shares received as 
of the end of the day on which the redemption or exchange occurs (or 
the next trading day, if the day in question is not a trading day), or 
(iii) if other non-cash property is received, the NAV of the redeemed 
or exchanged shares as of the end of the day on which the redemption or 
exchange occurs (or the next trading day if the day in question is not 
a trading day or, if the fund will

[[Page 44511]]

not publish a NAV on or after the end of the day on which the 
redemption or exchange occurs, the fund's last published NAV).
    The final regulations include provisions for determining the amount 
received for purposes of computing a taxpayer's net investment in an 
MMF for a computation period. If the consideration received in exchange 
for an MMF share consists only of cash, other MMF shares, or both, the 
amount received is the amount of any cash plus the fair market value of 
any MMF shares received. If the consideration includes any property 
other than cash or MMF shares, the amount received is determined by 
reference to the fair market value of the surrendered MMF shares.
    The same commenter recommended that a phrase in Sec.  1.446-
7(b)(5)(i)(B) of the proposed regulations, ``if the transaction is one 
in which gain or loss would be recognized,'' be clarified to indicate 
that it refers to recognition of gain or loss other than pursuant to 
the NAV method. The final regulations make this clarification.
C. Substituted Basis
    Under the proposed regulations, a taxpayer's net investment would 
increase if, during the computation period, the taxpayer acquired any 
shares in an MMF other than by purchase. In such cases, the net 
investment increases by the adjusted basis (for purposes of determining 
loss) of each such share immediately after its acquisition. The 
proposed regulations would also provide that if that adjusted basis 
would be determined by reference to the basis of one or more shares in 
an MMF that are being disposed of by the taxpayer in a transaction in 
which gain or loss is not recognized (exchanged basis), then the basis 
of each such disposed share is treated as being the fair market value 
of that share at the time of its disposition. A commenter noted that 
the proposed regulations do not address a situation in which the 
shareholder receives a transferred basis in MMF shares acquired from 
another person. The commenter suggested that, in that situation, if the 
person from whom the shareholder acquired the shares used the NAV 
method, then the adjusted basis of the acquired shares should be 
treated as the published NAV applicable to the acquisition date.
    The final regulations clarify the effect on net investment of a 
share acquired from another person with a transferred basis. Similar to 
the commenter's suggestion, the final regulations provide that, if a 
shareholder receives a transferred basis in one or more acquired MMF 
shares and the person from whom the shareholder acquired the shares 
used the NAV method, then the adjusted basis of the acquired shares 
will be their fair market value at the time of the acquisition, which 
value is presumed to be the next NAV (or other redemption amount) 
published by the MMF.

5. MMF Accounts With Shares of Mixed Character

    The proposed regulations would provide that if a taxpayer uses the 
NAV method for shares in an MMF and each of those shares otherwise 
would give rise to capital gain or loss if sold or exchanged in a 
computation period, then the gain or loss from the shares in the MMF is 
treated as capital gain or loss under the NAV method. Likewise, if each 
of the shares otherwise would give rise to ordinary gain or loss if 
sold or exchanged in a computation period, then the gain or loss is 
treated as ordinary gain or loss. If, however, the sale of all of the 
shares in the MMF would give rise to a combination of ordinary gain or 
loss and capital gain or loss if sold or exchanged in a computation 
period, then all gain or loss from the shares in the MMF is treated as 
capital gain or loss.
    A commenter noted that the proposed regulations do not explain why 
all gain or loss should be treated as capital in the case of an account 
containing MMF shares of mixed character. The commenter recommended 
that the character of gain or loss with respect to a mixed character 
account be bifurcated based on the portion of the shares that would 
generate gain or loss of each character.
    The Treasury Department and the IRS believe that it is rare for a 
shareholder to hold shares of a single MMF the disposition of which 
would produce a mix of ordinary income and capital gain. Under that 
circumstance, a taxpayer may use different accounts to preserve the 
character of the shares that would produce ordinary income and capital 
gain. The purpose of the NAV method is to provide an alternative to 
traditional accounting for taxpayers seeking simplicity. The rationale 
for offering a method solely for MMFs is that the value of MMFs 
fluctuates so little that simplicity is more important than tracking 
each individual gain or loss. A rule that bifurcates gain or loss based 
on the value of the shares in a single account, when those values may 
change during a computation period, would make the NAV method more 
complex. That additional complexity is not warranted in light of the 
rarity of the circumstance the proposed bifurcation would address and 
the ability of shareholders to prevent the treatment of all gain or 
loss as capital by using separate accounts. Therefore, the final 
regulations retain the simplifying rule for mixed-character accounts.

6. Other Requests and Comments

A. Wash Sale Rules Exemption for Stable-NAV MMFs
    Concurrently with the release of the proposed regulations, the 
Treasury Department and the IRS released Rev. Proc. 2014-45 (2014-34 
IRB 388), which provides that the wash sale rules in section 1091 will 
not be applied to redemptions of shares in floating-NAV MMFs. 
Commenters requested that the wash sale exemption, which is limited to 
floating-NAV MMFs, be extended to stable-NAV MMFs that impose liquidity 
fees.
    The final regulations permit shareholders of stable-NAV MMFs to use 
the NAV method. A shareholder who uses the NAV method would not require 
an exemption from the wash sale rules because under the NAV method, net 
gain or loss is determined for each computation period, and no gain or 
loss is determined for any particular redemption of a taxpayer's shares 
in an MMF. Without a determination of loss for a particular redemption, 
that redemption does not implicate the wash sale rules. Because 
taxpayers may use the NAV method to prevent wash sales, the Treasury 
Department and IRS are not extending the exemption in Rev. Proc. 2014-
45 to stable-NAV MMFs.
B. Other Requests
    A commenter requested that the Treasury Department and the IRS 
issue guidance regarding the tax treatment of an MMF's receipt of 
financial support from an investment adviser to raise the NAV of the 
MMF (determined without the amortized cost method or penny rounding) to 
$1.0000. In addition, the commenter requested guidance regarding the 
diversification requirements of section 817(h) for a segregated asset 
account that qualifies as, or invests in, a government MMF. On May 5, 
2016, the Treasury Department and the IRS released guidance related to 
both of these requests. See Rev. Proc. 2016-31 (2016-21 IRB 988); 
Notice 2016-32 (2016-21 IRB 878).
    The commenter also requested (and later withdrew its request) that 
the Treasury Department and the IRS issue guidance providing tax-free 
treatment for certain divisions of MMFs into retail and institutional 
MMFs. The Treasury Department and the IRS have

[[Page 44512]]

determined that this guidance does not appear essential to an orderly 
separation of different types of shareholders into different MMFs.
    The commenter also requested that the Treasury Department and the 
IRS issue guidance setting forth the proper tax treatment by an MMF of 
liquidity fees that the MMF imposes. In addition, the commenter 
requested guidance providing that, if an MMF imposes liquidity fees and 
subsequently distributes to shareholders amounts that correspond to 
amounts that the MMF retained as liquidity fees, the MMF will be deemed 
to have sufficient earnings and profits to treat the distribution as a 
dividend. These requests do not relate directly to the NAV method or to 
the information reporting provision in the proposed regulations and so 
are not addressed in these final regulations. The Treasury Department 
and the IRS may consider guidance on these questions in the future.

7. Accounting Method Changes

    As under the proposed regulations, a taxpayer may adopt the NAV 
method for shares in a floating-NAV MMF by use of the method in the 
Federal income tax return for the first taxable year in which both (1) 
the taxpayer holds shares in that MMF and (2) that MMF is a floating-
NAV MMF.
    The final regulations provide that a taxpayer seeking to change to 
or from the NAV method must secure the consent of the Commissioner in 
accordance with Sec.  1.446-1(e). Simultaneously with the publication 
of these regulations, the Treasury Department and the IRS are issuing 
Rev. Proc. 2016-39 (2016-30 IRB), which provides the procedures by 
which a taxpayer may obtain automatic consent to change to or from the 
NAV method for shares in an MMF.
    In certain circumstances, Rev. Proc. 2016-39 permits taxpayers to 
change to the NAV method on a federal tax return without filing a Form 
3115, ``Application for Change in Accounting Method.'' This simplified 
procedure applies to a taxpayer that holds shares in a stable-NAV MMF 
and wants to change to the NAV method for a taxable year if (1) the 
taxpayer has not used the NAV method for shares in the MMF for any 
taxable year prior to the year of change, and (2) prior to the 
beginning of the year of change, either (a) the taxpayer's basis in 
each share of the MMF has been at all times equal to the MMF's target 
share price, or (b) the taxpayer has not realized any gain or loss with 
respect to shares in the MMF.
    For certain other changes, Rev. Proc. 2016-39 provides automatic 
consent procedures that require a short Form 3115. For example, these 
automatic consent procedures apply to a taxpayer that (1) has adopted a 
realization method for shares in a floating-NAV MMF and wants to change 
to the NAV method for shares in that MMF, or (2) has adopted the NAV 
method for shares in a floating-NAV MMF and wants to change to a 
permissible realization method for shares in that MMF.

Effective/Applicability Dates

    The final regulations concerning the NAV method apply to taxable 
years ending on or after July 8, 2016. For taxable years ending on or 
after July 28, 2014, and beginning before July 8, 2016, however, 
shareholders of MMFs may rely either on the rules concerning the NAV 
method in the proposed regulations or on the final regulations.
    The final regulations concerning information reporting apply to 
sales of shares in calendar years beginning on or after July 8, 2016. 
Taxpayers and brokers (as defined in Sec.  1.6045-1(a)(1)), however, 
may rely on the rules in the regulations concerning information 
reporting for sales of shares in calendar years beginning before July 
8, 2016.

Statement of Availability for IRS Documents

    IRS Revenue Procedures cited in this preamble are published in the 
Internal Revenue Bulletin and are available from the Superintendent of 
Documents, U.S. Government Printing Office, Washington, DC 20402, or by 
visiting the IRS Web site at http://www.irs.gov.

Special Analyses

    Certain IRS regulations, including this one, are exempt from the 
requirements of Executive Order 12866, as supplemented and reaffirmed 
by Executive Order 13563. Therefore, a regulatory impact assessment is 
not required. It has also been determined that section 553(b) of the 
Administrative Procedure Act (5 U.S.C. chapter 5) does not apply to 
these regulations, and because the regulations do not impose a 
collection of information on small entities, the Regulatory Flexibility 
Act (5 U.S.C. chapter 6) does not apply. Pursuant to section 7805(f) of 
the Code, the proposed regulations preceding these final regulations 
were submitted to the Chief Counsel for Advocacy of the Small Business 
Administration for comment on their impact on small businesses. No 
comments were received.

Drafting Information

    The principal author of the final regulations is Grace Cho, IRS 
Office of the Associate Chief Counsel (Financial Institutions and 
Products). However, other personnel from the Treasury Department and 
the IRS participated in their development.

List of Subjects in 26 CFR Part 1

    Income taxes, Reporting and recordkeeping requirements.

Adoption of Amendments to the Regulations

    Accordingly, 26 CFR part 1 is amended as follows:

PART 1--INCOME TAXES

0
Paragraph 1. The authority citation for part 1 is amended by adding an 
entry in numerical order to read in part as follows:

    Authority: 26 U.S.C. 7805 * * *
    Section 1.446-7 also issued under 26 U.S.C. 446.


0
Par. 2. Section 1.446-7 is added to read as follows:


Sec.  1.446-7  Net asset value method for certain money market fund 
shares.

    (a) In general. This section provides a permissible method of 
accounting (the net asset value method, or NAV method) for gain or loss 
on shares in a money market fund (or MMF).
    (b) Definitions. For purposes of this section--
    (1) Computation period. Computation periods are the periods (of 
either equal or varying length) that a taxpayer selects for computing 
gain and loss under the NAV method for shares in an MMF. Computation 
periods must possess all of the following attributes:
    (i) Every day during the taxable year falls within one, and only 
one, computation period;
    (ii) Each computation period contains days from only one taxable 
year; and
    (iii) If the taxpayer is a regulated investment company (RIC) that 
is not described in section 4982(f)--
    (A) The same computation periods are used for purposes of both 
income tax accounting under chapter 1 and excise tax computations under 
section 4982; and
    (B) The requirements in paragraphs (b)(1)(i) and (ii) of this 
section are also satisfied if applied by substituting the RIC's section 
4982 period for the RIC's taxable year.
    (2) Ending value. The ending value of a taxpayer's shares in an MMF 
for a computation period is the aggregate fair market value of the 
taxpayer's shares at the end of that computation period.
    (3) Fair market value. The fair market value of a share in an MMF 
is determined as follows:

[[Page 44513]]

    (i) Presumption based on applicable published redemption amount. 
For purposes of this section, the fair market value of a share in an 
MMF is presumed to be the applicable published redemption amount for 
the share.
    (ii) Published redemption amount. The published redemption amount 
for a share in an MMF is the published amount for which the MMF would 
redeem the share (usually, the net asset value per share (NAV)), taking 
into account any corrections and not taking into account any liquidity 
fee described in Rule 2a-7(c)(2) under the Investment Company Act of 
1940 (17 CFR 270.2a-7(c)(2)).
    (iii) Applicable published redemption amount. The applicable 
published redemption amount is--
    (A) For purposes of determining the ending value of a taxpayer's 
shares in an MMF for a computation period under paragraph (b)(2) of 
this section, the last published redemption amount on the last day of 
that computation period;
    (B) For purposes of determining the value of MMF shares received in 
a redemption or exchange described in paragraph (b)(5)(ii)(A) of this 
section, the published redemption amount for such MMF shares used to 
determine the consideration received in the redemption or exchange, or 
if the consideration received is not based on a published redemption 
amount, the first published redemption amount for such MMF shares after 
the redemption or exchange;
    (C) For purposes of determining the amount received in a redemption 
or exchange described in paragraph (b)(5)(ii)(B) of this section in 
which the consideration received is based on a published redemption 
amount for the redeemed shares, that published redemption amount; and
    (D) For purposes of determining the amount received in an exchange 
described in paragraph (b)(5)(ii)(B) of this section that is not 
described in paragraph (b)(3)(iii)(C) of this section, or the amount of 
any adjustment resulting from a disposition transaction described in 
paragraph (b)(5)(iii) of this section, the first published redemption 
amount for the exchanged or disposed of MMF shares after the exchange 
or other transaction.
    (iv) Facts and circumstances determination. If there is no 
applicable published redemption amount or if circumstances indicate 
that the amount does not represent the fair market value of a share in 
the MMF, the fair market value is determined on the basis of all of the 
facts and circumstances.
    (4) Money market fund (or MMF). An MMF is a regulated investment 
company that is permitted to hold itself out to investors as a money 
market fund under Rule 2a-7 under the Investment Company Act of 1940 
(17 CFR 270.2a-7). See paragraph (c)(5) of this section for the 
treatment of shares in a single MMF held in more than one account.
    (5) Net investment--(i) In general. The net investment in an MMF 
for a computation period may be a positive amount, a negative amount, 
or zero. Except as provided in paragraph (b)(5)(iii) of this section, 
the net investment is equal to--
    (A) The aggregate cost of shares in the MMF purchased during the 
computation period (including purchases through reinvestment of 
dividends); minus
    (B) The aggregate amount received during the computation period in 
redemption of (or otherwise in exchange for) shares in the MMF in 
transactions in which gain or loss would be recognized if the taxpayer 
did not apply the NAV method to the shares.
    (ii) Aggregate amount received. For purposes of paragraph 
(b)(5)(i)(B) of this section, the amount received in a redemption or 
exchange of an MMF share is--
    (A) If no property other than cash and shares in one or more other 
MMFs is received, the amount of any cash plus the fair market value of 
any MMF shares received; or
    (B) If any property other than cash or shares in one or more other 
MMFs is received, the fair market value of the redeemed MMF share.
    (iii) Adjustments--(A) Dispositions in which gain or loss is not 
recognized. If, during the computation period, any shares in an MMF are 
disposed of in transactions in which gain or loss would not be 
recognized if the taxpayer did not apply the NAV method to the shares, 
the net investment in the MMF for the computation period is decreased 
by the fair market value of each such share at the time of its 
disposition.
    (B) Acquisitions other than by purchase. If, during the computation 
period, any shares in an MMF are acquired other than by purchase, the 
net investment in the MMF for the computation period is increased by 
the adjusted basis (for purposes of determining loss) of each such 
share immediately after its acquisition. If the adjusted basis of an 
acquired share would be determined by reference to the basis of a share 
or shares in an MMF that are being disposed of by the taxpayer in a 
transaction that is governed by paragraph (b)(5)(iii)(A) of this 
section, then the adjusted basis of each such disposed share is treated 
for purposes of this section as being the fair market value of that 
share at the time of its disposition. If the adjusted basis of an 
acquired share would be determined by reference to the basis of that 
share in the hands of the person from whom the share is acquired and 
that person was applying the NAV method to the share at the time of the 
transaction, then the adjusted basis of the share in the hands of the 
person from whom the share is acquired is treated for purposes of this 
section as being the fair market value of that share at the time of the 
transaction.
    (6) Section 4982 period. If a taxpayer using the NAV method is a 
RIC to which section 4982 applies, the section 4982 period is the one-
year period with respect to which gain or loss is determined for 
purposes of section 4982(e)(2) and (e)(6). The preceding sentence is 
applied taking into account the application of section 4982(e)(4). See 
paragraph (c)(8) of this section regarding the application of section 
4982(e)(6).
    (7) Starting basis. The starting basis of a taxpayer's shares in an 
MMF for a computation period is--
    (i) Except as provided in paragraph (b)(7)(ii) of this section, the 
ending value of the taxpayer's shares in the MMF for the immediately 
preceding computation period; or
    (ii) For the first computation period in a taxable year, if the 
taxpayer did not use the NAV method for shares in the MMF for the 
immediately preceding taxable year, the aggregate adjusted basis of the 
taxpayer's shares in the MMF at the end of the immediately preceding 
taxable year.
    (c) NAV method--(1) Scope. A taxpayer may use the NAV method 
described in this section to determine the gain or loss for a taxable 
year on the taxpayer's shares in an MMF. A taxpayer may have different 
methods of accounting, different computation periods, and gains or 
losses of differing character, for its shares in different MMFs. See 
paragraph (c)(5) of this section for the treatment of shares in a 
single MMF held in more than one account. See paragraph (c)(6) of this 
section for rules applicable to RICs to which section 4982 applies. See 
paragraph (c)(8) of this section for rules applicable to accounting 
method changes.
    (2) Net gain or loss for a taxable year--(i) Determination for each 
computation period. Subject to any adjustment under paragraph 
(c)(2)(ii) of this section, the net gain or loss for each computation 
period with respect to the shares in an MMF to which the NAV method 
applies equals the ending value, minus the starting basis, minus the 
net investment in the MMF for the

[[Page 44514]]

computation period. If the computation produces a result that is 
greater than zero, the taxpayer has a gain for the computation period 
with respect to the shares in the MMF; if the computation produces a 
result that is less than zero, the taxpayer has a loss for the 
computation period with respect to the shares in the MMF; and if the 
computation produces a result that is equal to zero, the taxpayer has 
no gain or loss for the computation period with respect to the shares 
in the MMF.
    (ii) Adjustment of gain or loss to reflect any basis adjustments. 
If, during a computation period, there is any downward (or upward) 
adjustment to the taxpayer's basis in the shares in the MMF under any 
provision of internal revenue law, then the net gain or loss for the 
computation period on shares in the MMF determined under paragraph 
(c)(2)(i) of this section is increased (or decreased) by the amount of 
the adjustment.
    (iii) Timing of gains and losses. Gain or loss determined under the 
NAV method with respect to a taxpayer's shares in an MMF during a 
computation period is treated as arising on the last day of the 
computation period.
    (iv) Determination of net gain or loss for each taxable year. The 
taxpayer's net gain or loss for a taxable year on shares in an MMF is 
the sum of the net gains or losses on shares in the MMF for the 
computation period (or computation periods) that comprise the taxable 
year.
    (3) Character--(i) In the case of a taxpayer that applies the NAV 
method to shares in an MMF, the gain or loss with respect to those 
shares for a computation period is treated as gain or loss from a sale 
or exchange of a capital asset provided the sale or exchange of one or 
more of those shares during the computation period would give rise to 
capital gain or loss if the taxpayer did not apply the NAV method to 
the shares.
    (ii) In the case of a taxpayer that applies the NAV method to 
shares in an MMF, the gain or loss with respect to those shares for a 
computation period is treated as ordinary gain or loss provided the 
sale or exchange of every one of those shares during the computation 
period would give rise to ordinary gain or loss if the taxpayer did not 
apply the NAV method to the shares.
    (iii) See paragraph (c)(5) of this section for the treatment of 
shares in a single MMF held in more than one account.
    (4) Holding period. Capital gains and losses determined under the 
NAV method are treated as short-term capital gains and losses.
    (5) More than one account. If a taxpayer holds shares in an MMF 
through more than one account, the taxpayer must treat its holdings in 
each account as a separate MMF for purposes of this section. A taxpayer 
therefore may have different methods of accounting, different 
computation periods, and gains or losses of differing character, for 
its shares of a single MMF held in different accounts.
    (6) Consistency requirement for MMF shareholders that are RICs. If 
the taxpayer is a RIC that is not described in section 4982(f) (and 
therefore is subject to the section 4982 excise tax), then, for each 
MMF, the taxpayer must use the NAV method for both income tax and 
excise tax computations or for neither computation. See paragraph 
(c)(5) of this section for the treatment of shares in a single MMF held 
in more than one account. See paragraph (c)(8)(ii) of this section for 
changes to or from the NAV method by a RIC.
    (7) Treatment of ordinary gains and losses under section 
4982(e)(6). Under section 4982(e)(6)(B), this section is a specified 
mark to market provision, and therefore any ordinary gains and losses 
determined under the NAV method are governed by section 4982(e)(6)(A).
    (8) Accounting method changes--(i) In general. A change to or from 
the NAV method is a change in method of accounting to which the 
provisions of section 446 and the accompanying regulations apply. A 
taxpayer seeking to change to or from the NAV method must secure the 
consent of the Commissioner in accordance with Sec.  1.446-1(e) and 
follow the administrative procedures issued under Sec.  1.446-
1(e)(3)(ii) for obtaining the Commissioner's consent to change the 
taxpayer's accounting method. Any such change will be made on a cut-off 
basis. Because there will be no duplication or omission of amounts as a 
result of such a change to or from the NAV method, no adjustment under 
section 481(a) will be required or permitted.
    (ii) RICs--(A) In general. A RIC that is subject to the excise tax 
under section 4982 and that changes to or from the NAV method for its 
shares in an MMF for income tax purposes must apply the new method for 
excise tax purposes starting with the first day of the RIC's income tax 
year of change. If that first day is not the first day of the RIC's 
section 4982 period that ends in or with the RIC's income tax year, 
then solely for purposes of applying the NAV method to compute the 
RIC's required distribution for the calendar year that ends with or 
within the RIC's income tax year of change, the section 4982 period is 
bifurcated into two portions, each of which is treated as a separate 
taxable year. The first portion begins on the first day of the section 
4982 period and ends on the last day of the RIC's income tax year that 
precedes the year of change. The second portion begins on the first day 
of the income tax year of change and ends on the last day of the 
section 4982 period.
    (B) Example. If a RIC that holds MMF shares as capital assets 
changes from a realization method to the NAV method for its income tax 
year ending January 31, 2019, the section 4982 period is bifurcated 
into two portions that are treated as separate taxable years solely for 
purposes of applying this section. For the portion starting on November 
1, 2017, and ending on January 31, 2018, the RIC applies its 
realization method for excise tax purposes. For the portion starting on 
February 1, 2018, and ending on October 31, 2018, the RIC applies the 
NAV method for excise tax purposes, treating February 1, 2018, as the 
first day of the RIC's tax year for purposes of paragraphs (b)(1) and 
(6) of this section. The RIC's net gain or loss for this later portion 
is determined under paragraph (c)(2)(iii) of this section. This net 
gain or loss and any gains and losses for the earlier portion 
determined under the realization method are taken into account in 
determining the RIC's capital gain net income for the full one-year 
period described in section 4982(b)(1)(B).
    (d) Example. The provisions of this section may be illustrated by 
the following example:

    Example.  (i) Fund is an MMF. Shareholder is a person whose 
taxable year is the calendar year. On January 1 of Year 1, 
Shareholder owns 5,000,000 shares in Fund with an adjusted basis of 
$5,000,000.00. The price of Fund shares has not varied from $1.00 
from the date Shareholder acquired the shares through January 1 of 
Year 1. During that period, Shareholder has engaged in multiple 
purchases and redemptions of Fund shares, but Shareholder has 
reported no gains or losses with respect to the shares because 
Shareholder realized an amount in each redemption equal to 
Shareholder's basis in the redeemed shares. During Year 1, the price 
of Fund shares begins to float. During Year 1, Shareholder receives 
$32,158.23 in taxable dividends from Fund and makes 120 purchases of 
additional shares in Fund (including purchases through the 
reinvestment of those dividends) totaling $1,253,256.37 and 28 
redemptions totaling $1,124,591.71. The fair market value of 
Shareholder's shares in Fund at the end of Year 1 is $5,129,750.00. 
All of Shareholder's shares in Fund are held in a single account and 
as capital assets. There is no adjustment to the basis in 
Shareholder's shares in Fund under any provision of internal revenue 
law during Year 1.
    (ii) Prior to Year 1, Shareholder has had no gains or losses to 
report with respect to the

[[Page 44515]]

Fund shares under a realization method and no changes in fair market 
value that would have been reported under the NAV method. Therefore, 
Shareholder may use the NAV method for the shares in Fund for Year 
1. Shareholder uses the NAV method for the shares with its taxable 
year as the computation period. Shareholder's net investment in Fund 
for Year 1 equals $128,664.66 (the $1,253,256.37 in purchases, minus 
the $1,124,591.71 in redemptions). Shareholder's Year 1 gain 
therefore is $1,085.34, which is the ending value of Shareholder's 
shares ($5,129,750.00), minus the starting basis of Shareholder's 
shares ($5,000,000.00), minus Shareholder's net investment in the 
fund for the taxable year ($128,664.66). The gain of $1,085.34 is 
treated as short-term capital gain. Shareholder's starting basis for 
Year 2 is $5,129,750.00. Shareholder also must include the 
$32,158.23 in dividends in its income for Year 1 in the same manner 
as if Shareholder did not use the NAV method.
    (iii) If Shareholder had instead adopted the calendar month as 
its computation period, it would have used the NAV method for every 
month of Year 1, even though prices of Fund shares may have been 
fixed for some months.

    (e) Effective/applicability date. Except as provided in the 
following sentence, this section applies to taxable years ending on or 
after July 8, 2016. For taxable years ending on or after July 28, 2014, 
and beginning before July 8, 2016, however, shareholders of MMFs may 
rely either on this section or on Sec.  1.446-7 of the 2014 proposed 
regulations REG-107012-14 (79 FR 43694).

0
Par. 3. Section 1.6045-1 is amended by revising paragraph (c)(3)(vi) to 
read as follows:


Sec.  1.6045-1  Returns of information of brokers and barter exchanges.

* * * * *
    (c) * * *
    (3) * * *
    (vi) Money market funds--(A) In general. No return of information 
is required with respect to a sale of shares in a regulated investment 
company that is permitted to hold itself out to investors as a money 
market fund under Rule 2a-7 under the Investment Company Act of 1940 
(17 CFR 270.2a-7).
    (B) Effective/applicability date. Paragraph (c)(3)(vi)(A) of this 
section applies to sales of shares in calendar years beginning on or 
after July 8, 2016. Taxpayers and brokers (as defined in Sec.  1.6045-
1(a)(1)), however, may rely on paragraph (c)(3)(vi)(A) of this section 
for sales of shares in calendar years beginning before July 8, 2016.
* * * * *

John Dalrymple,
Deputy Commissioner for Services and Enforcement.
    Approved: June 15, 2016.
Mark J. Mazur,
Assistant Secretary of the Treasury (Tax Policy).
[FR Doc. 2016-16149 Filed 7-7-16; 8:45 am]
 BILLING CODE 4830-01-P



                                                44508                 Federal Register / Vol. 81, No. 131 / Friday, July 8, 2016 / Rules and Regulations

                                                emailed to: 9-ANM-Seattle-ACO-AMOC-                      www.archives.gov/federal-register/cfr/ibr-            Release No. 33–9616, Investment
                                                Requests@faa.gov.                                        locations.html.                                       Advisers Act Release No. IA–3879,
                                                   (2) Before using any approved AMOC,                                                                         Investment Company Act Release No.
                                                                                                           Issued in Renton, Washington, on June 23,
                                                notify your appropriate principal inspector,                                                                   IC–31166, Financial Reporting
                                                                                                         2016.
                                                or lacking a principal inspector, the manager
                                                of the local flight standards district office/           Dorr M. Anderson,                                     Codification No. FR–84 (August 14,
                                                certificate holding district office.                     Acting Manager, Transport Airplane                    2014) (SEC MMF Reform Rules). The
                                                   (3) An AMOC that provides an acceptable               Directorate, Aircraft Certification Service.          regulations also provide guidance
                                                level of safety may be used for any repair               [FR Doc. 2016–15904 Filed 7–7–16; 8:45 am]            regarding information reporting
                                                required by this AD if it is approved by the             BILLING CODE 4910–13–P
                                                                                                                                                               requirements for shares in MMFs.
                                                Boeing Commercial Airplanes Organization                                                                          An MMF is a type of investment
                                                Designation Authorization (ODA) that has                                                                       company registered under the
                                                been authorized by the Manager, Seattle                                                                        Investment Company Act of 1940 (1940
                                                ACO, to make those findings. For a repair                DEPARTMENT OF THE TREASURY                            Act) and regulated as an MMF under
                                                method to be approved, the repair must meet                                                                    Rule 2a–7 under the 1940 Act (17 CFR
                                                the certification basis of the airplane, and the         Internal Revenue Service
                                                approval must specifically refer to this AD.
                                                                                                                                                               270.2a–7). MMFs have historically
                                                   (4) For service information that contains             26 CFR Part 1                                         sought to keep stable the prices at which
                                                steps that are labeled as Required for                                                                         their shares are distributed, redeemed,
                                                Compliance (RC), the provisions of                       [TD 9774]                                             and repurchased. The securities that
                                                paragraphs (j)(4)(i) and (j)(4)(ii) of this AD                                                                 Rule 2a–7 permits an MMF to hold
                                                                                                         RIN 1545–BM04
                                                apply.                                                                                                         generally result in no more than
                                                   (i) The steps labeled as RC, including                                                                      minimal fluctuations in the MMF’s net
                                                substeps under an RC step and any figures
                                                                                                         Method of Accounting for Gains and
                                                                                                         Losses on Shares in Money Market                      asset value per share (NAV).1
                                                identified in an RC step, must be done to                                                                         MMFs meeting the requirements of
                                                comply with the AD. An AMOC is required                  Funds; Broker Returns With Respect
                                                                                                         to Sales of Shares in Money Market                    Rule 2a–7 have been permitted to value
                                                for any deviations to RC steps, including
                                                substeps and identified figures.                         Funds                                                 their assets based on the assets’ cost,
                                                   (ii) Steps not labeled as RC may be                                                                         with certain adjustments (amortized
                                                deviated from using accepted methods in                  AGENCY:  Internal Revenue Service (IRS),              cost method), and to price their shares
                                                accordance with the operator’s maintenance               Treasury.                                             by rounding the resulting NAV to the
                                                or inspection program without obtaining                  ACTION: Final regulations.                            nearest 1 percent (penny rounding).
                                                approval of an AMOC, provided the RC steps,                                                                    These methods have enabled MMFs to
                                                including substeps and identified figures, can           SUMMARY:   This document contains final               maintain constant share prices in almost
                                                still be done as specified, and the airplane             regulations that provide a simplified                 all circumstances. Because most MMFs
                                                can be put back in an airworthy condition.               method of accounting for gains and                    target a $1.00 share price, an MMF that
                                                (k) Related Information                                  losses on shares in money market funds                fails to maintain a constant share price
                                                  For more information about this AD,                    (MMFs). The final regulations also                    is said to ‘‘break the buck.’’
                                                contact Gaetano Settineri, Aerospace                     provide guidance regarding information                   The SEC MMF Reform Rules generally
                                                Engineer, Airframe Branch, ANM 120S, FAA,                reporting requirements for shares in                  bar the use of the amortized cost method
                                                Seattle Aircraft Certification Office (ACO),             MMFs. The final regulations respond to                and penny rounding for certain MMFs
                                                1601 Lind Avenue SW., Renton, WA 98057–                  Securities and Exchange Commission                    (floating-NAV MMFs) and require a
                                                3356; phone: 425–917–6577; fax: 425–917–                 (SEC) rules that change the amount for                floating-NAV MMF to value its assets
                                                6590; email: gaetano.settineri@faa.gov.                  which certain MMF shares are                          using market factors and to round its
                                                (l) Material Incorporated by Reference                   distributed, redeemed, and repurchased.               price per share to the nearest basis point
                                                   (1) The Director of the Federal Register              The final regulations affect MMFs and                 (the fourth decimal place, in the case of
                                                approved the incorporation by reference                  their shareholders.                                   a fund with a $1.0000 share price).
                                                (IBR) of the service information listed in this          DATES: Effective date: These regulations              Certain government-security-focused
                                                paragraph under 5 U.S.C. 552(a) and 1 CFR                are effective on July 8, 2016.                        MMFs (government MMFs) and certain
                                                part 51.                                                    Applicability dates: For the dates of              MMFs the beneficial owners of which
                                                   (2) You must use this service information             applicability, see §§ 1.446–7(e) and                  are limited to natural persons (retail
                                                as applicable to do the actions required by                                                                    MMFs) may continue to use the
                                                this AD, unless the AD specifies otherwise.
                                                                                                         1.6045–1(c)(3)(vi)(B).
                                                                                                         FOR FURTHER INFORMATION CONTACT:
                                                                                                                                                               amortized cost method and penny
                                                   (i) Boeing Alert Service Bulletin 737–
                                                55A1097, dated July 1, 2015.                             Grace Cho at (202) 317–6895 (not a toll-              rounding. (A government MMF or retail
                                                   (ii) Reserved.                                        free number).                                         MMF that continues to use the
                                                   (3) For Boeing service information                                                                          amortized cost method and penny
                                                                                                         SUPPLEMENTARY INFORMATION:
                                                identified in this AD, contact Boeing                                                                          rounding is called a stable-NAV MMF.)
                                                Commercial Airplanes, Attention: Data &                  Background                                               The SEC MMF Reform Rules also
                                                Services Management, P.O. Box 3707, MC                                                                         establish circumstances under which an
                                                2H–65, Seattle, WA 98124–2207; telephone                   This document contains amendments                   MMF is permitted or required to impose
                                                206–544–5000, extension 1; fax 206–766–                  to 26 CFR part 1 (Income Tax                          a liquidity fee or is permitted to impose
                                                5680; Internet https://                                  Regulations) under sections 446 and                   a redemption gate. When an MMF has
                                                www.myboeingfleet.com.                                   6045 of the Internal Revenue Code                     a liquidity fee in effect, the liquidity fee
                                                   (4) You may view this service information             (Code). The regulations provide a
                                                at the FAA, 1601 Lind Avenue SW., Renton,                                                                      reduces the proceeds received by all
                                                                                                         method of accounting for gain or loss on              redeeming shareholders. A redemption
jstallworth on DSK7TPTVN1PROD with RULES




                                                WA. For information on the availability of               shares in MMFs and are intended to
                                                this material at the FAA, call 425–227–1221.                                                                   gate is the temporary suspension of
                                                                                                         simplify tax compliance for holders of                redemptions of shares in the MMF.
                                                   (5) You may view this service information
                                                that is incorporated by reference at the
                                                                                                         shares in MMFs affected by SEC                        Liquidity fees and redemption gates
                                                National Archives and Records                            regulations that impose liquidity fees or
                                                Administration (NARA). For information on                change how certain MMF shares are                       1 Note that the term ‘‘NAV’’ is used throughout
                                                the availability of this material at NARA, call          priced. See Money Market Fund Reform;                 this document to indicate the per-share amount that
                                                202–741–6030, or go to: http://                          Amendments to Form PF, Securities Act                 may be described elsewhere as ‘‘NAV per share.’’



                                           VerDate Sep<11>2014   14:29 Jul 07, 2016   Jkt 238001   PO 00000   Frm 00020   Fmt 4700   Sfmt 4700   E:\FR\FM\08JYR1.SGM   08JYR1


                                                                      Federal Register / Vol. 81, No. 131 / Friday, July 8, 2016 / Rules and Regulations                                        44509

                                                may be imposed by both floating-NAV                         Although stable-NAV MMFs seek to                   simpler computations than traditional
                                                MMFs and stable-NAV MMFs. An MMF                         maintain constant share prices, there are             accounting, even if there are no wash
                                                other than a government MMF is                           circumstances in which shares in a                    sales. For the years after an MMF breaks
                                                required to impose a liquidity fee in                    stable-NAV MMF will give rise to gain                 the buck or imposes a liquidity fee, the
                                                certain circumstances, unless the fund’s                 or loss. On rare occasions, shares in a               NAV method simplifies recordkeeping,
                                                board of directors determines that such                  stable-NAV MMF may be redeemed at a                   because the gain or loss for each year is
                                                a fee is not in the best interests of the                price other than the target price, such as            based on changes in the NAV during
                                                fund.                                                    when the MMF breaks the buck. In                      that year. Therefore, the final
                                                   The Treasury Department and the IRS                   addition, a stable-NAV MMF may                        regulations permit taxpayers to apply
                                                published a notice of proposed                           impose liquidity fees, which will                     the NAV method to shares in stable-
                                                rulemaking and notice of public hearing                  generally result in the realization of a              NAV MMFs.
                                                (REG–107012–14) in the Federal                           loss by a redeeming shareholder. If the
                                                                                                                                                               2. Consistency Requirement
                                                Register on July 28, 2014 (79 FR 43694).                 acquisition of other shares causes such
                                                The proposed regulations described a                     a redemption to be a wash sale under                     The proposed regulations would
                                                simplified method of accounting for                      section 1091, section 1091(d) will                    provide that if a taxpayer applies the
                                                gain or loss on shares in a floating-NAV                 generally cause the basis of the acquired             NAV method to shares in any MMF for
                                                MMF (the net asset value method, or                      shares to exceed the cost of the shares.              a taxable year, the taxpayer must apply
                                                NAV method). Under the NAV method,                       Because the price of a stable-NAV MMF                 the NAV method to its shares in all
                                                a taxpayer’s gain or loss on shares in an                share rarely changes, any disposition of              MMFs for which that method is
                                                MMF is based on the change in the                        those acquired, higher-basis shares will              permissible.
                                                aggregate value of the taxpayer’s shares                 likely result in another loss, which also                Commenters requested that the final
                                                during a computation period selected by                  may be deferred by the wash sale rules.               regulations permit taxpayers to apply
                                                the taxpayer and on the net amount of                    Therefore, even if a liquidity fee is in              different methods to shares in different
                                                the purchases and redemptions during                     effect for only one redemption by a                   MMFs or to shares in a single MMF held
                                                the computation period. The proposed                     shareholder and the share price of the                in different accounts. Commenters said
                                                regulations also provided guidance                       MMF remains constant, that fee may                    that some taxpayers may receive
                                                regarding information reporting                          cause a difference between the basis and              sufficient information about their shares
                                                requirements for shares in MMFs.                         value of the shareholder’s MMF shares                 in certain MMFs to compute gain or loss
                                                   A request for a public hearing was                    that persists indefinitely. Determining               realized on each transaction and that
                                                received, and the hearing was held on                    gain or loss and basis on each                        those taxpayers should be permitted to
                                                November 19, 2014. The IRS received                      transaction in a stable-NAV MMF,                      compute gain or loss realized on each
                                                written comments responding to the                       taking into account the wash sale rules,              transaction for those MMFs.
                                                proposed regulations regarding the                       would impose significant burdens on                      Commenters also noted that taxpayers
                                                method of accounting for gains and                       shareholders under these circumstances.               may hold shares in a single MMF
                                                losses on shares in MMFs. The written                    To eliminate those burdens, a                         through different kinds of accounts (for
                                                comments are available for public                        shareholder might need to terminate the               example, an account with a broker and
                                                inspection at http://                                    shareholder’s entire interest in the                  an account with the MMF itself) and
                                                www.regulations.gov or upon request.                     affected MMF (and not initiate a new                  may receive different information for
                                                After considering the comments, the                      position until after the end of the period            the different accounts. The commenters
                                                Treasury Department and the IRS adopt                    described in section 1091(a)).                        recommended that, because of that
                                                the proposed regulations regarding the                      Commenters recommended that the                    possibility, taxpayers should be
                                                method of accounting as final                            NAV method be applicable not only to                  permitted to use different accounting
                                                regulations with the modifications                       shares in floating-NAV MMFs but also                  methods for shares held in different
                                                described in this Treasury decision. No                  to shares in stable-NAV MMFs. The                     accounts. Commenters also noted that
                                                comments were received on the portion                    commenters added that many                            many MMF shareholders will be large
                                                of the proposed regulations that would                   shareholders of stable-NAV MMFs may                   institutional investors, which might
                                                revise § 1.6045–1(c)(3)(vi) to clarify that              be retail shareholders (generally,                    hold shares in the same MMF through
                                                the exceptions under sections 6045,                      individuals) who are likely to rely upon              separate accounts controlled by
                                                6045A, and 6045B continue to apply to                    the cost basis reporting provided by                  different divisions.
                                                                                                         funds or brokers for their other mutual                  In response to these comments, the
                                                all MMFs, including floating-NAV
                                                                                                         funds. Those individuals are unlikely to              final regulations permit MMF
                                                MMFs. The Treasury Department and
                                                                                                         have the systems necessary to record                  shareholders to use different methods of
                                                the IRS adopt the proposed regulations
                                                                                                         gains and losses and to track wash sales              accounting for shares in different MMFs
                                                revising § 1.6045–1(c)(3)(vi) as final
                                                                                                         and the resulting basis adjustments.                  or for shares in a single MMF held in
                                                regulations without substantive change.
                                                                                                            The NAV method would reduce the                    different accounts.
                                                Summary of Comments and                                  complexity, and any tax-based
                                                                                                         motivation to terminate investments in                3. Choosing NAV Method Computation
                                                Explanation of Revisions
                                                                                                         MMFs, that would result from the                      Periods for RIC Excise Tax Purposes
                                                1. Application of the NAV Method to                      imposition of a liquidity fee by a stable-               Under the NAV method, computation
                                                Stable-NAV MMFs                                          NAV MMF. Under the NAV method,                        periods are the periods that a taxpayer
                                                   Under the proposed regulations, the                   any loss that resulted from the                       selects for computing gain and loss for
                                                NAV method would apply only to                           imposition of a liquidity fee by an MMF               an MMF. The proposed regulations
jstallworth on DSK7TPTVN1PROD with RULES




                                                floating-NAV MMF shares. In the                          would be determined for a shareholder’s               would provide that computation periods
                                                preamble to the proposed regulations,                    entire interest in the MMF (or in an                  may be the taxpayer’s taxable year or a
                                                the Treasury Department and the IRS                      account) for the appropriate taxable year             shorter period, provided that (i)
                                                requested comments regarding whether                     (or computation period) rather than for               computation periods are of
                                                the NAV method should be a                               a single transaction. Therefore, the wash             approximately equal duration, (ii) every
                                                permissible method of accounting for                     sale rules would not defer the loss. The              day during the taxable year falls within
                                                stable-NAV MMF shares.                                   NAV method also requires fewer and                    one, and only one, computation period,


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                                                44510                 Federal Register / Vol. 81, No. 131 / Friday, July 8, 2016 / Rules and Regulations

                                                and (iii) each computation period                        distribution under section 4982(b).2 The                of the end of the relevant day (or the
                                                contains days from only one taxable                      RIC, however, may not use the section                   next trading day, if the day in question
                                                year.                                                    4982 period as a computation period for                 is not a trading day). A second
                                                   Most regulated investment companies                   excise tax purposes if the section 4982                 commenter suggested that, because
                                                (RICs) must pay an excise tax under                      period contains days from more than                     MMFs may strike several NAVs
                                                section 4982 if they do not make the                     one income tax year.3 Instead, in this                  throughout the day, the fair market
                                                required distribution described in                       situation, the RIC must divide the                      value should be the next published
                                                section 4982(b) for a calendar year. The                 section 4982 period into at least two                   NAV after a transaction.
                                                required distribution is generally 98                    computation periods so that each                           In response to these comments, the
                                                percent of the RIC’s ordinary income for                 computation period contains days from                   final regulations clarify that the fair
                                                the calendar year, plus 98.2 percent of                  only one income tax year. Similarly, the                market value of a share in an MMF at
                                                the RIC’s capital gain net income for the                RIC may not use its full income tax year                the time of a transaction is presumed to
                                                one-year period ending on October 31 of                  as a computation period for income tax                  be the published NAV (or other
                                                the calendar year. A commenter                           purposes if the year contains days from                 published amount for which the MMF
                                                requested clarification that a RIC that                  more than one section 4982 period.                      would redeem the share, determined
                                                holds MMF shares may use the NAV                         These consistency requirements                          without regard to any liquidity fees
                                                method for excise tax computations.                      simplify and clarify the interaction of                 (other redemption amount)). For
                                                That commenter also requested that the                   sections 852(b) and 4982.                               purposes of computing the ending value
                                                Treasury Department and the IRS                             The final regulations eliminate the                  for a computation period, the
                                                confirm that a RIC that uses the NAV                     requirement that computation periods                    presumption applies to the last
                                                method is permitted to use the one-year                  be of approximately equal duration. The                 published NAV (or other redemption
                                                period from November 1 to October 31                     Treasury Department and the IRS do not                  amount) in that computation period. For
                                                as its computation period for excise tax                 believe that this requirement is essential              purposes of determining the fair market
                                                purposes. The commenter explained                        to the operation of the NAV method,                     value of MMF shares surrendered or
                                                that RICs generally account for items                    and eliminating the requirement will                    received in a redemption or exchange,
                                                that are marked to market using two                      allow taxpayers more flexibility. In                    the presumption generally applies to the
                                                different one-year periods for income                    particular, permitting computation                      NAV (or other redemption amount) used
                                                tax and excise tax purposes. The                         periods of unequal duration will reduce                 to determine the consideration received
                                                commenter explained that, under                          the burden on RICs of complying with                    in the transaction, or if the
                                                section 4982(e)(2)(A), the term ‘‘capital                the requirement of consistent                           consideration is not based on a
                                                gain net income’’ when used in section                   computation periods for income and                      published NAV (or other redemption
                                                4982 is determined by treating the one-                  excise tax purposes. For example, a RIC                 amount), the first NAV (or other
                                                year period ending on October 31 of any                  that applies the NAV method to its                      redemption amount) published for the
                                                calendar year as the company’s taxable                   shares in an MMF (held as a capital                     MMF shares after the transaction. If no
                                                year.                                                    asset) and that has an income tax year                  NAV (or other redemption amount) is
                                                   The Treasury Department and the IRS                   ending on January 31 may meet the                       published, or if facts and circumstances
                                                agree that the NAV method should be                      consistency requirements with two                       indicate that the NAV (or other
                                                applicable for purposes of the                           computation periods of unequal                          redemption amount) does not represent
                                                computations required by section 4982                    duration—one ending on January 31 and                   the fair market value of a share in the
                                                                                                         the other on October 31. The RIC also                   MMF, the fair market value is
                                                and that the taxable year for purposes of
                                                                                                         may use additional computation periods                  determined on the basis of all the facts
                                                those computations should be the
                                                                                                         ending on other dates, such as                          and circumstances.
                                                relevant period under section 4982(e).
                                                                                                         December 31.
                                                The final regulations adopt this change.                                                                         B. Aggregate Amount Received
                                                   The final regulations, however,                       4. Clarification of Certain Amounts                        Under the proposed regulations, a
                                                require a RIC to be consistent in                                                                                taxpayer’s net investment in an MMF
                                                                                                         A. Fair Market Value of MMF Shares
                                                applying the NAV method to MMF                                                                                   for a computation period would equal
                                                shares for income tax and excise tax                        Under the proposed regulations, gain
                                                                                                                                                                 the aggregate cost of shares in the MMF
                                                purposes. For each MMF in each                           and loss under the NAV method would
                                                                                                                                                                 purchased during the computation
                                                account, the final regulations generally                 be determined by reference to the fair
                                                                                                                                                                 period, minus the aggregate amount
                                                require a RIC to use the NAV method                      market value of MMF shares.
                                                                                                                                                                 received during the computation period
                                                either for both income tax and excise tax                Commenters requested that the Treasury
                                                                                                                                                                 in redemption of shares in the MMF,
                                                computations or for neither                              Department and the IRS clarify that the
                                                                                                                                                                 subject to certain adjustments. A
                                                computation. The final regulations also                  fair market value of an MMF share for
                                                                                                                                                                 commenter suggested that the final
                                                clarify how a RIC may change to or from                  this purpose is the NAV reported by the
                                                                                                                                                                 regulations clarify that the aggregate
                                                the NAV method.                                          MMF. One commenter suggested that
                                                                                                                                                                 amount received is based on: (i) If cash
                                                   The final regulations require a RIC to                the fair market value of a share in an
                                                                                                                                                                 is received, the cash proceeds, (ii) if
                                                use the same computation periods for                     MMF should be the published NAV as
                                                                                                                                                                 shares in another MMF are received, the
                                                purposes of both excise tax and income                                                                           published NAV of the shares received as
                                                                                                            2 If a RIC has not made an election under section
                                                tax computations. Therefore, under the                   4982(e)(4), the RIC’s section 4982 period is the one-   of the end of the day on which the
                                                final regulations, a RIC using the NAV                   year period ending on October 31, because that is       redemption or exchange occurs (or the
                                                method for its shares in an MMF                          the period for determining capital gain net income      next trading day, if the day in question
jstallworth on DSK7TPTVN1PROD with RULES




                                                generally treats the one-year period for                 under section 4982(e)(2) and (because the final
                                                                                                         regulations concerning the NAV method constitute
                                                                                                                                                                 is not a trading day), or (iii) if other non-
                                                which gain or loss from the MMF would                    a specified mark to market provision for purposes       cash property is received, the NAV of
                                                be included in the amount determined                     of section 4982(e)(6)(B)) ordinary income under         the redeemed or exchanged shares as of
                                                under section 4982(e)(2) or (e)(6) (the                  4982(e)(6)(A).                                          the end of the day on which the
                                                                                                            3 The section 4982 period will contain days from
                                                section 4982 period) like a taxable year                                                                         redemption or exchange occurs (or the
                                                                                                         only one income tax year if (i) the RIC has in effect
                                                in applying the NAV method to                            a valid election under section 4982(e)(4) or (ii) the   next trading day if the day in question
                                                determine the RIC’s required                             RIC’s income tax year ends on October 31.               is not a trading day or, if the fund will


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                                                                      Federal Register / Vol. 81, No. 131 / Friday, July 8, 2016 / Rules and Regulations                                        44511

                                                not publish a NAV on or after the end                    acquired MMF shares and the person                    would address and the ability of
                                                of the day on which the redemption or                    from whom the shareholder acquired                    shareholders to prevent the treatment of
                                                exchange occurs, the fund’s last                         the shares used the NAV method, then                  all gain or loss as capital by using
                                                published NAV).                                          the adjusted basis of the acquired shares             separate accounts. Therefore, the final
                                                   The final regulations include                         will be their fair market value at the                regulations retain the simplifying rule
                                                provisions for determining the amount                    time of the acquisition, which value is               for mixed-character accounts.
                                                received for purposes of computing a                     presumed to be the next NAV (or other
                                                taxpayer’s net investment in an MMF                      redemption amount) published by the                   6. Other Requests and Comments
                                                for a computation period. If the                         MMF.                                                  A. Wash Sale Rules Exemption for
                                                consideration received in exchange for                                                                         Stable-NAV MMFs
                                                an MMF share consists only of cash,                      5. MMF Accounts With Shares of Mixed
                                                                                                         Character                                               Concurrently with the release of the
                                                other MMF shares, or both, the amount
                                                received is the amount of any cash plus                     The proposed regulations would                     proposed regulations, the Treasury
                                                the fair market value of any MMF shares                  provide that if a taxpayer uses the NAV               Department and the IRS released Rev.
                                                received. If the consideration includes                  method for shares in an MMF and each                  Proc. 2014–45 (2014–34 IRB 388), which
                                                any property other than cash or MMF                      of those shares otherwise would give                  provides that the wash sale rules in
                                                shares, the amount received is                           rise to capital gain or loss if sold or               section 1091 will not be applied to
                                                determined by reference to the fair                      exchanged in a computation period,                    redemptions of shares in floating-NAV
                                                market value of the surrendered MMF                      then the gain or loss from the shares in              MMFs. Commenters requested that the
                                                shares.                                                  the MMF is treated as capital gain or                 wash sale exemption, which is limited
                                                   The same commenter recommended                        loss under the NAV method. Likewise,                  to floating-NAV MMFs, be extended to
                                                that a phrase in § 1.446–7(b)(5)(i)(B) of                if each of the shares otherwise would                 stable-NAV MMFs that impose liquidity
                                                the proposed regulations, ‘‘if the                       give rise to ordinary gain or loss if sold            fees.
                                                transaction is one in which gain or loss                 or exchanged in a computation period,                   The final regulations permit
                                                would be recognized,’’ be clarified to                   then the gain or loss is treated as                   shareholders of stable-NAV MMFs to
                                                indicate that it refers to recognition of                ordinary gain or loss. If, however, the               use the NAV method. A shareholder
                                                gain or loss other than pursuant to the                  sale of all of the shares in the MMF                  who uses the NAV method would not
                                                NAV method. The final regulations                        would give rise to a combination of                   require an exemption from the wash
                                                make this clarification.                                 ordinary gain or loss and capital gain or             sale rules because under the NAV
                                                                                                         loss if sold or exchanged in a                        method, net gain or loss is determined
                                                C. Substituted Basis                                                                                           for each computation period, and no
                                                                                                         computation period, then all gain or loss
                                                   Under the proposed regulations, a                     from the shares in the MMF is treated                 gain or loss is determined for any
                                                taxpayer’s net investment would                          as capital gain or loss.                              particular redemption of a taxpayer’s
                                                increase if, during the computation                         A commenter noted that the proposed                shares in an MMF. Without a
                                                period, the taxpayer acquired any shares                 regulations do not explain why all gain               determination of loss for a particular
                                                in an MMF other than by purchase. In                     or loss should be treated as capital in               redemption, that redemption does not
                                                such cases, the net investment increases                 the case of an account containing MMF                 implicate the wash sale rules. Because
                                                by the adjusted basis (for purposes of                   shares of mixed character. The                        taxpayers may use the NAV method to
                                                determining loss) of each such share                     commenter recommended that the                        prevent wash sales, the Treasury
                                                immediately after its acquisition. The                   character of gain or loss with respect to             Department and IRS are not extending
                                                proposed regulations would also                          a mixed character account be bifurcated               the exemption in Rev. Proc. 2014–45 to
                                                provide that if that adjusted basis would                based on the portion of the shares that               stable-NAV MMFs.
                                                be determined by reference to the basis                  would generate gain or loss of each
                                                of one or more shares in an MMF that                                                                           B. Other Requests
                                                                                                         character.
                                                are being disposed of by the taxpayer in                    The Treasury Department and the IRS                   A commenter requested that the
                                                a transaction in which gain or loss is not               believe that it is rare for a shareholder             Treasury Department and the IRS issue
                                                recognized (exchanged basis), then the                   to hold shares of a single MMF the                    guidance regarding the tax treatment of
                                                basis of each such disposed share is                     disposition of which would produce a                  an MMF’s receipt of financial support
                                                treated as being the fair market value of                mix of ordinary income and capital                    from an investment adviser to raise the
                                                that share at the time of its disposition.               gain. Under that circumstance, a                      NAV of the MMF (determined without
                                                A commenter noted that the proposed                      taxpayer may use different accounts to                the amortized cost method or penny
                                                regulations do not address a situation in                preserve the character of the shares that             rounding) to $1.0000. In addition, the
                                                which the shareholder receives a                         would produce ordinary income and                     commenter requested guidance
                                                transferred basis in MMF shares                          capital gain. The purpose of the NAV                  regarding the diversification
                                                acquired from another person. The                        method is to provide an alternative to                requirements of section 817(h) for a
                                                commenter suggested that, in that                        traditional accounting for taxpayers                  segregated asset account that qualifies
                                                situation, if the person from whom the                   seeking simplicity. The rationale for                 as, or invests in, a government MMF. On
                                                shareholder acquired the shares used                     offering a method solely for MMFs is                  May 5, 2016, the Treasury Department
                                                the NAV method, then the adjusted                        that the value of MMFs fluctuates so                  and the IRS released guidance related to
                                                basis of the acquired shares should be                   little that simplicity is more important              both of these requests. See Rev. Proc.
                                                treated as the published NAV applicable                  than tracking each individual gain or                 2016–31 (2016–21 IRB 988); Notice
                                                to the acquisition date.                                 loss. A rule that bifurcates gain or loss             2016–32 (2016–21 IRB 878).
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                                                   The final regulations clarify the effect              based on the value of the shares in a                    The commenter also requested (and
                                                on net investment of a share acquired                    single account, when those values may                 later withdrew its request) that the
                                                from another person with a transferred                   change during a computation period,                   Treasury Department and the IRS issue
                                                basis. Similar to the commenter’s                        would make the NAV method more                        guidance providing tax-free treatment
                                                suggestion, the final regulations provide                complex. That additional complexity is                for certain divisions of MMFs into retail
                                                that, if a shareholder receives a                        not warranted in light of the rarity of the           and institutional MMFs. The Treasury
                                                transferred basis in one or more                         circumstance the proposed bifurcation                 Department and the IRS have


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                                                44512                 Federal Register / Vol. 81, No. 131 / Friday, July 8, 2016 / Rules and Regulations

                                                determined that this guidance does not                   procedures that require a short Form                  the Associate Chief Counsel (Financial
                                                appear essential to an orderly separation                3115. For example, these automatic                    Institutions and Products). However,
                                                of different types of shareholders into                  consent procedures apply to a taxpayer                other personnel from the Treasury
                                                different MMFs.                                          that (1) has adopted a realization                    Department and the IRS participated in
                                                   The commenter also requested that                     method for shares in a floating-NAV                   their development.
                                                the Treasury Department and the IRS                      MMF and wants to change to the NAV
                                                issue guidance setting forth the proper                                                                        List of Subjects in 26 CFR Part 1
                                                                                                         method for shares in that MMF, or (2)
                                                tax treatment by an MMF of liquidity                     has adopted the NAV method for shares                   Income taxes, Reporting and
                                                fees that the MMF imposes. In addition,                  in a floating-NAV MMF and wants to                    recordkeeping requirements.
                                                the commenter requested guidance                         change to a permissible realization                   Adoption of Amendments to the
                                                providing that, if an MMF imposes                        method for shares in that MMF.                        Regulations
                                                liquidity fees and subsequently
                                                distributes to shareholders amounts that                 Effective/Applicability Dates                           Accordingly, 26 CFR part 1 is
                                                correspond to amounts that the MMF                          The final regulations concerning the               amended as follows:
                                                retained as liquidity fees, the MMF will                 NAV method apply to taxable years
                                                be deemed to have sufficient earnings                    ending on or after July 8, 2016. For                  PART 1—INCOME TAXES
                                                and profits to treat the distribution as a               taxable years ending on or after July 28,
                                                dividend. These requests do not relate                                                                         ■ Paragraph 1. The authority citation
                                                                                                         2014, and beginning before July 8, 2016,
                                                directly to the NAV method or to the                                                                           for part 1 is amended by adding an entry
                                                                                                         however, shareholders of MMFs may
                                                information reporting provision in the                                                                         in numerical order to read in part as
                                                                                                         rely either on the rules concerning the
                                                proposed regulations and so are not                                                                            follows:
                                                                                                         NAV method in the proposed
                                                addressed in these final regulations. The                regulations or on the final regulations.                Authority: 26 U.S.C. 7805 * * *
                                                Treasury Department and the IRS may                         The final regulations concerning                     Section 1.446–7 also issued under 26
                                                consider guidance on these questions in                  information reporting apply to sales of               U.S.C. 446.
                                                the future.                                              shares in calendar years beginning on or              ■ Par. 2. Section 1.446–7 is added to
                                                7. Accounting Method Changes                             after July 8, 2016. Taxpayers and                     read as follows:
                                                                                                         brokers (as defined in § 1.6045–1(a)(1)),
                                                   As under the proposed regulations, a                  however, may rely on the rules in the                 § 1.446–7 Net asset value method for
                                                taxpayer may adopt the NAV method for                                                                          certain money market fund shares.
                                                                                                         regulations concerning information
                                                shares in a floating-NAV MMF by use of                   reporting for sales of shares in calendar                (a) In general. This section provides a
                                                the method in the Federal income tax                     years beginning before July 8, 2016.                  permissible method of accounting (the
                                                return for the first taxable year in which                                                                     net asset value method, or NAV method)
                                                both (1) the taxpayer holds shares in                    Statement of Availability for IRS                     for gain or loss on shares in a money
                                                that MMF and (2) that MMF is a                           Documents                                             market fund (or MMF).
                                                floating-NAV MMF.                                          IRS Revenue Procedures cited in this                   (b) Definitions. For purposes of this
                                                   The final regulations provide that a                  preamble are published in the Internal                section—
                                                taxpayer seeking to change to or from                    Revenue Bulletin and are available from                  (1) Computation period. Computation
                                                the NAV method must secure the                           the Superintendent of Documents, U.S.                 periods are the periods (of either equal
                                                consent of the Commissioner in                           Government Printing Office,                           or varying length) that a taxpayer selects
                                                accordance with § 1.446–1(e).                            Washington, DC 20402, or by visiting                  for computing gain and loss under the
                                                Simultaneously with the publication of                   the IRS Web site at http://www.irs.gov.               NAV method for shares in an MMF.
                                                these regulations, the Treasury                                                                                Computation periods must possess all of
                                                Department and the IRS are issuing Rev.                  Special Analyses                                      the following attributes:
                                                Proc. 2016–39 (2016–30 IRB), which                         Certain IRS regulations, including this                (i) Every day during the taxable year
                                                provides the procedures by which a                       one, are exempt from the requirements                 falls within one, and only one,
                                                taxpayer may obtain automatic consent                    of Executive Order 12866, as                          computation period;
                                                to change to or from the NAV method                      supplemented and reaffirmed by                           (ii) Each computation period contains
                                                for shares in an MMF.                                    Executive Order 13563. Therefore, a                   days from only one taxable year; and
                                                   In certain circumstances, Rev. Proc.                  regulatory impact assessment is not                      (iii) If the taxpayer is a regulated
                                                2016–39 permits taxpayers to change to                   required. It has also been determined                 investment company (RIC) that is not
                                                the NAV method on a federal tax return                   that section 553(b) of the Administrative             described in section 4982(f)—
                                                without filing a Form 3115,                              Procedure Act (5 U.S.C. chapter 5) does                  (A) The same computation periods are
                                                ‘‘Application for Change in Accounting                   not apply to these regulations, and                   used for purposes of both income tax
                                                Method.’’ This simplified procedure                      because the regulations do not impose a               accounting under chapter 1 and excise
                                                applies to a taxpayer that holds shares                  collection of information on small                    tax computations under section 4982;
                                                in a stable-NAV MMF and wants to                         entities, the Regulatory Flexibility Act              and
                                                change to the NAV method for a taxable                   (5 U.S.C. chapter 6) does not apply.                     (B) The requirements in paragraphs
                                                year if (1) the taxpayer has not used the                Pursuant to section 7805(f) of the Code,              (b)(1)(i) and (ii) of this section are also
                                                NAV method for shares in the MMF for                     the proposed regulations preceding                    satisfied if applied by substituting the
                                                any taxable year prior to the year of                    these final regulations were submitted                RIC’s section 4982 period for the RIC’s
                                                change, and (2) prior to the beginning of                to the Chief Counsel for Advocacy of the              taxable year.
                                                the year of change, either (a) the                       Small Business Administration for                        (2) Ending value. The ending value of
jstallworth on DSK7TPTVN1PROD with RULES




                                                taxpayer’s basis in each share of the                    comment on their impact on small                      a taxpayer’s shares in an MMF for a
                                                MMF has been at all times equal to the                   businesses. No comments were                          computation period is the aggregate fair
                                                MMF’s target share price, or (b) the                     received.                                             market value of the taxpayer’s shares at
                                                taxpayer has not realized any gain or                                                                          the end of that computation period.
                                                loss with respect to shares in the MMF.                  Drafting Information                                     (3) Fair market value. The fair market
                                                   For certain other changes, Rev. Proc.                   The principal author of the final                   value of a share in an MMF is
                                                2016–39 provides automatic consent                       regulations is Grace Cho, IRS Office of               determined as follows:


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                                                                      Federal Register / Vol. 81, No. 131 / Friday, July 8, 2016 / Rules and Regulations                                           44513

                                                   (i) Presumption based on applicable                   company that is permitted to hold itself              market value of that share at the time of
                                                published redemption amount. For                         out to investors as a money market fund               its disposition. If the adjusted basis of
                                                purposes of this section, the fair market                under Rule 2a–7 under the Investment                  an acquired share would be determined
                                                value of a share in an MMF is presumed                   Company Act of 1940 (17 CFR 270.2a–                   by reference to the basis of that share in
                                                to be the applicable published                           7). See paragraph (c)(5) of this section              the hands of the person from whom the
                                                redemption amount for the share.                         for the treatment of shares in a single               share is acquired and that person was
                                                   (ii) Published redemption amount.                     MMF held in more than one account.                    applying the NAV method to the share
                                                The published redemption amount for a                       (5) Net investment—(i) In general. The             at the time of the transaction, then the
                                                share in an MMF is the published                         net investment in an MMF for a                        adjusted basis of the share in the hands
                                                amount for which the MMF would                           computation period may be a positive                  of the person from whom the share is
                                                redeem the share (usually, the net asset                 amount, a negative amount, or zero.                   acquired is treated for purposes of this
                                                value per share (NAV)), taking into                      Except as provided in paragraph                       section as being the fair market value of
                                                account any corrections and not taking                   (b)(5)(iii) of this section, the net                  that share at the time of the transaction.
                                                into account any liquidity fee described                 investment is equal to—                                  (6) Section 4982 period. If a taxpayer
                                                in Rule 2a–7(c)(2) under the Investment                     (A) The aggregate cost of shares in the            using the NAV method is a RIC to which
                                                Company Act of 1940 (17 CFR 270.2a–                      MMF purchased during the                              section 4982 applies, the section 4982
                                                7(c)(2)).                                                computation period (including                         period is the one-year period with
                                                   (iii) Applicable published redemption                 purchases through reinvestment of                     respect to which gain or loss is
                                                amount. The applicable published                         dividends); minus                                     determined for purposes of section
                                                redemption amount is—                                       (B) The aggregate amount received                  4982(e)(2) and (e)(6). The preceding
                                                   (A) For purposes of determining the                   during the computation period in                      sentence is applied taking into account
                                                ending value of a taxpayer’s shares in an                redemption of (or otherwise in exchange               the application of section 4982(e)(4).
                                                MMF for a computation period under                       for) shares in the MMF in transactions                See paragraph (c)(8) of this section
                                                paragraph (b)(2) of this section, the last               in which gain or loss would be                        regarding the application of section
                                                published redemption amount on the                       recognized if the taxpayer did not apply              4982(e)(6).
                                                last day of that computation period;                     the NAV method to the shares.                            (7) Starting basis. The starting basis of
                                                   (B) For purposes of determining the                      (ii) Aggregate amount received. For                a taxpayer’s shares in an MMF for a
                                                value of MMF shares received in a                        purposes of paragraph (b)(5)(i)(B) of this            computation period is—
                                                redemption or exchange described in                      section, the amount received in a                        (i) Except as provided in paragraph
                                                paragraph (b)(5)(ii)(A) of this section,                 redemption or exchange of an MMF                      (b)(7)(ii) of this section, the ending
                                                the published redemption amount for                      share is—                                             value of the taxpayer’s shares in the
                                                such MMF shares used to determine the                       (A) If no property other than cash and             MMF for the immediately preceding
                                                consideration received in the                            shares in one or more other MMFs is                   computation period; or
                                                redemption or exchange, or if the                        received, the amount of any cash plus                    (ii) For the first computation period in
                                                consideration received is not based on                   the fair market value of any MMF shares               a taxable year, if the taxpayer did not
                                                a published redemption amount, the                       received; or                                          use the NAV method for shares in the
                                                first published redemption amount for                       (B) If any property other than cash or             MMF for the immediately preceding
                                                such MMF shares after the redemption                     shares in one or more other MMFs is                   taxable year, the aggregate adjusted
                                                or exchange;                                             received, the fair market value of the                basis of the taxpayer’s shares in the
                                                   (C) For purposes of determining the                   redeemed MMF share.                                   MMF at the end of the immediately
                                                amount received in a redemption or                          (iii) Adjustments—(A) Dispositions in              preceding taxable year.
                                                exchange described in paragraph                          which gain or loss is not recognized. If,                (c) NAV method—(1) Scope. A
                                                (b)(5)(ii)(B) of this section in which the               during the computation period, any                    taxpayer may use the NAV method
                                                consideration received is based on a                     shares in an MMF are disposed of in                   described in this section to determine
                                                published redemption amount for the                      transactions in which gain or loss would              the gain or loss for a taxable year on the
                                                redeemed shares, that published                          not be recognized if the taxpayer did not             taxpayer’s shares in an MMF. A
                                                redemption amount; and                                   apply the NAV method to the shares,                   taxpayer may have different methods of
                                                   (D) For purposes of determining the                   the net investment in the MMF for the                 accounting, different computation
                                                amount received in an exchange                           computation period is decreased by the                periods, and gains or losses of differing
                                                described in paragraph (b)(5)(ii)(B) of                  fair market value of each such share at               character, for its shares in different
                                                this section that is not described in                    the time of its disposition.                          MMFs. See paragraph (c)(5) of this
                                                paragraph (b)(3)(iii)(C) of this section, or                (B) Acquisitions other than by                     section for the treatment of shares in a
                                                the amount of any adjustment resulting                   purchase. If, during the computation                  single MMF held in more than one
                                                from a disposition transaction described                 period, any shares in an MMF are                      account. See paragraph (c)(6) of this
                                                in paragraph (b)(5)(iii) of this section,                acquired other than by purchase, the net              section for rules applicable to RICs to
                                                the first published redemption amount                    investment in the MMF for the                         which section 4982 applies. See
                                                for the exchanged or disposed of MMF                     computation period is increased by the                paragraph (c)(8) of this section for rules
                                                shares after the exchange or other                       adjusted basis (for purposes of                       applicable to accounting method
                                                transaction.                                             determining loss) of each such share                  changes.
                                                   (iv) Facts and circumstances                          immediately after its acquisition. If the                (2) Net gain or loss for a taxable
                                                determination. If there is no applicable                 adjusted basis of an acquired share                   year—(i) Determination for each
                                                published redemption amount or if                        would be determined by reference to the               computation period. Subject to any
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                                                circumstances indicate that the amount                   basis of a share or shares in an MMF                  adjustment under paragraph (c)(2)(ii) of
                                                does not represent the fair market value                 that are being disposed of by the                     this section, the net gain or loss for each
                                                of a share in the MMF, the fair market                   taxpayer in a transaction that is                     computation period with respect to the
                                                value is determined on the basis of all                  governed by paragraph (b)(5)(iii)(A) of               shares in an MMF to which the NAV
                                                of the facts and circumstances.                          this section, then the adjusted basis of              method applies equals the ending value,
                                                   (4) Money market fund (or MMF). An                    each such disposed share is treated for               minus the starting basis, minus the net
                                                MMF is a regulated investment                            purposes of this section as being the fair            investment in the MMF for the


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                                                44514                 Federal Register / Vol. 81, No. 131 / Friday, July 8, 2016 / Rules and Regulations

                                                computation period. If the computation                      (5) More than one account. If a                    each of which is treated as a separate
                                                produces a result that is greater than                   taxpayer holds shares in an MMF                       taxable year. The first portion begins on
                                                zero, the taxpayer has a gain for the                    through more than one account, the                    the first day of the section 4982 period
                                                computation period with respect to the                   taxpayer must treat its holdings in each              and ends on the last day of the RIC’s
                                                shares in the MMF; if the computation                    account as a separate MMF for purposes                income tax year that precedes the year
                                                produces a result that is less than zero,                of this section. A taxpayer therefore may             of change. The second portion begins on
                                                the taxpayer has a loss for the                          have different methods of accounting,                 the first day of the income tax year of
                                                computation period with respect to the                   different computation periods, and                    change and ends on the last day of the
                                                shares in the MMF; and if the                            gains or losses of differing character, for           section 4982 period.
                                                computation produces a result that is                    its shares of a single MMF held in                       (B) Example. If a RIC that holds MMF
                                                equal to zero, the taxpayer has no gain                  different accounts.                                   shares as capital assets changes from a
                                                or loss for the computation period with                     (6) Consistency requirement for MMF                realization method to the NAV method
                                                respect to the shares in the MMF.                        shareholders that are RICs. If the                    for its income tax year ending January
                                                   (ii) Adjustment of gain or loss to                    taxpayer is a RIC that is not described               31, 2019, the section 4982 period is
                                                reflect any basis adjustments. If, during                in section 4982(f) (and therefore is                  bifurcated into two portions that are
                                                a computation period, there is any                       subject to the section 4982 excise tax),              treated as separate taxable years solely
                                                downward (or upward) adjustment to                       then, for each MMF, the taxpayer must                 for purposes of applying this section.
                                                the taxpayer’s basis in the shares in the                use the NAV method for both income                    For the portion starting on November 1,
                                                MMF under any provision of internal                      tax and excise tax computations or for                2017, and ending on January 31, 2018,
                                                revenue law, then the net gain or loss                   neither computation. See paragraph                    the RIC applies its realization method
                                                for the computation period on shares in                  (c)(5) of this section for the treatment of           for excise tax purposes. For the portion
                                                the MMF determined under paragraph                       shares in a single MMF held in more                   starting on February 1, 2018, and ending
                                                (c)(2)(i) of this section is increased (or               than one account. See paragraph                       on October 31, 2018, the RIC applies the
                                                decreased) by the amount of the                          (c)(8)(ii) of this section for changes to or          NAV method for excise tax purposes,
                                                adjustment.                                              from the NAV method by a RIC.                         treating February 1, 2018, as the first
                                                                                                            (7) Treatment of ordinary gains and                day of the RIC’s tax year for purposes of
                                                   (iii) Timing of gains and losses. Gain
                                                                                                         losses under section 4982(e)(6). Under                paragraphs (b)(1) and (6) of this section.
                                                or loss determined under the NAV
                                                                                                         section 4982(e)(6)(B), this section is a              The RIC’s net gain or loss for this later
                                                method with respect to a taxpayer’s
                                                                                                         specified mark to market provision, and               portion is determined under paragraph
                                                shares in an MMF during a computation
                                                                                                         therefore any ordinary gains and losses               (c)(2)(iii) of this section. This net gain or
                                                period is treated as arising on the last
                                                                                                         determined under the NAV method are                   loss and any gains and losses for the
                                                day of the computation period.
                                                                                                         governed by section 4982(e)(6)(A).                    earlier portion determined under the
                                                   (iv) Determination of net gain or loss                   (8) Accounting method changes—(i)
                                                for each taxable year. The taxpayer’s net                                                                      realization method are taken into
                                                                                                         In general. A change to or from the NAV               account in determining the RIC’s capital
                                                gain or loss for a taxable year on shares                method is a change in method of
                                                in an MMF is the sum of the net gains                                                                          gain net income for the full one-year
                                                                                                         accounting to which the provisions of                 period described in section
                                                or losses on shares in the MMF for the                   section 446 and the accompanying
                                                computation period (or computation                                                                             4982(b)(1)(B).
                                                                                                         regulations apply. A taxpayer seeking to                 (d) Example. The provisions of this
                                                periods) that comprise the taxable year.                 change to or from the NAV method must                 section may be illustrated by the
                                                   (3) Character—(i) In the case of a                    secure the consent of the Commissioner                following example:
                                                taxpayer that applies the NAV method                     in accordance with § 1.446–1(e) and
                                                to shares in an MMF, the gain or loss                                                                             Example. (i) Fund is an MMF. Shareholder
                                                                                                         follow the administrative procedures                  is a person whose taxable year is the calendar
                                                with respect to those shares for a                       issued under § 1.446–1(e)(3)(ii) for                  year. On January 1 of Year 1, Shareholder
                                                computation period is treated as gain or                 obtaining the Commissioner’s consent to               owns 5,000,000 shares in Fund with an
                                                loss from a sale or exchange of a capital                change the taxpayer’s accounting                      adjusted basis of $5,000,000.00. The price of
                                                asset provided the sale or exchange of                   method. Any such change will be made                  Fund shares has not varied from $1.00 from
                                                one or more of those shares during the                   on a cut-off basis. Because there will be             the date Shareholder acquired the shares
                                                computation period would give rise to                    no duplication or omission of amounts                 through January 1 of Year 1. During that
                                                capital gain or loss if the taxpayer did                 as a result of such a change to or from               period, Shareholder has engaged in multiple
                                                not apply the NAV method to the                                                                                purchases and redemptions of Fund shares,
                                                                                                         the NAV method, no adjustment under                   but Shareholder has reported no gains or
                                                shares.                                                  section 481(a) will be required or                    losses with respect to the shares because
                                                   (ii) In the case of a taxpayer that                   permitted.                                            Shareholder realized an amount in each
                                                applies the NAV method to shares in an                      (ii) RICs—(A) In general. A RIC that is            redemption equal to Shareholder’s basis in
                                                MMF, the gain or loss with respect to                    subject to the excise tax under section               the redeemed shares. During Year 1, the price
                                                those shares for a computation period is                 4982 and that changes to or from the                  of Fund shares begins to float. During Year
                                                treated as ordinary gain or loss provided                NAV method for its shares in an MMF                   1, Shareholder receives $32,158.23 in taxable
                                                the sale or exchange of every one of                     for income tax purposes must apply the                dividends from Fund and makes 120
                                                those shares during the computation                                                                            purchases of additional shares in Fund
                                                                                                         new method for excise tax purposes
                                                                                                                                                               (including purchases through the
                                                period would give rise to ordinary gain                  starting with the first day of the RIC’s              reinvestment of those dividends) totaling
                                                or loss if the taxpayer did not apply the                income tax year of change. If that first              $1,253,256.37 and 28 redemptions totaling
                                                NAV method to the shares.                                day is not the first day of the RIC’s                 $1,124,591.71. The fair market value of
                                                   (iii) See paragraph (c)(5) of this                    section 4982 period that ends in or with              Shareholder’s shares in Fund at the end of
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                                                section for the treatment of shares in a                 the RIC’s income tax year, then solely                Year 1 is $5,129,750.00. All of Shareholder’s
                                                single MMF held in more than one                         for purposes of applying the NAV                      shares in Fund are held in a single account
                                                account.                                                 method to compute the RIC’s required                  and as capital assets. There is no adjustment
                                                                                                                                                               to the basis in Shareholder’s shares in Fund
                                                   (4) Holding period. Capital gains and                 distribution for the calendar year that               under any provision of internal revenue law
                                                losses determined under the NAV                          ends with or within the RIC’s income                  during Year 1.
                                                method are treated as short-term capital                 tax year of change, the section 4982                     (ii) Prior to Year 1, Shareholder has had no
                                                gains and losses.                                        period is bifurcated into two portions,               gains or losses to report with respect to the



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                                                                      Federal Register / Vol. 81, No. 131 / Friday, July 8, 2016 / Rules and Regulations                                                   44515

                                                Fund shares under a realization method and               sales of shares in calendar years                     annual Victim Assistance Program
                                                no changes in fair market value that would               beginning before July 8, 2016.                        formula grants are used by the States to
                                                have been reported under the NAV method.                 *     *     *     *    *                              provide financial support to eligible
                                                Therefore, Shareholder may use the NAV                                                                         crime victim assistance programs. See
                                                method for the shares in Fund for Year 1.                John Dalrymple,                                       42 U.S.C. 10603. OVC promulgates this
                                                Shareholder uses the NAV method for the                  Deputy Commissioner for Services and                  rule pursuant to the rulemaking
                                                shares with its taxable year as the                      Enforcement.                                          authority granted to the OVC Director by
                                                computation period. Shareholder’s net                      Approved: June 15, 2016.                            42 U.S.C. 10604(a). This rule codifies
                                                investment in Fund for Year 1 equals                     Mark J. Mazur,                                        and updates the existing Program
                                                $128,664.66 (the $1,253,256.37 in purchases,             Assistant Secretary of the Treasury (Tax              Guidelines to reflect changes in OVC
                                                minus the $1,124,591.71 in redemptions).                 Policy).                                              policy, the needs of the crime victim
                                                Shareholder’s Year 1 gain therefore is                   [FR Doc. 2016–16149 Filed 7–7–16; 8:45 am]            services field, and VOCA itself.
                                                $1,085.34, which is the ending value of                  BILLING CODE 4830–01–P
                                                Shareholder’s shares ($5,129,750.00), minus                                                                    B. Summary of the Major Provisions of
                                                the starting basis of Shareholder’s shares                                                                     the Final Rule
                                                ($5,000,000.00), minus Shareholder’s net                                                                          Most provisions in this final rule are
                                                                                                         DEPARTMENT OF JUSTICE
                                                investment in the fund for the taxable year                                                                    substantively the same as the
                                                ($128,664.66). The gain of $1,085.34 is                  28 CFR Part 94                                        corresponding provisions of the
                                                treated as short-term capital gain.                                                                            Guidelines. The final rule reorganizes
                                                Shareholder’s starting basis for Year 2 is               [Docket No.: OJP (OVC) 1523]
                                                                                                                                                               the program rules into six major
                                                $5,129,750.00. Shareholder also must include             RIN 1121–AA69                                         divisions: (1) General Provisions; (2)
                                                the $32,158.23 in dividends in its income for
                                                                                                                                                               State Administering Agency (‘‘SAA’’)
                                                Year 1 in the same manner as if Shareholder              Victims of Crime Act Victim Assistance                Program Requirements; (3) SAA Use of
                                                did not use the NAV method.                              Program                                               Funds for Administration and Training;
                                                   (iii) If Shareholder had instead adopted the
                                                                                                         AGENCY:  Office for Victims of Crime,                 (4) Sub-Recipient Program
                                                calendar month as its computation period, it
                                                                                                         Justice.                                              Requirements; (5) Sub-Recipient Project
                                                would have used the NAV method for every
                                                                                                         ACTION: Final rule.                                   Requirements; and (6) Sub-Recipient
                                                month of Year 1, even though prices of Fund
                                                shares may have been fixed for some months.
                                                                                                                                                               Allowable/Unallowable Costs.
                                                                                                         SUMMARY:    The Office for Victims of                    The rules in the General Provisions
                                                  (e) Effective/applicability date. Except               Crime (‘‘OVC’’) of the U.S. Department                heading do not depart substantively
                                                as provided in the following sentence,                   of Justice’s Office of Justice Programs               from the Guidelines. OVC defines
                                                this section applies to taxable years                    (‘‘OJP’’), publishes this final rule to               frequently-used terms, most of which
                                                ending on or after July 8, 2016. For                     implement the victim assistance                       are consistent with those in the
                                                taxable years ending on or after July 28,                formula grant program (‘‘Victim                       Guidelines. OVC adds a new definition
                                                2014, and beginning before July 8, 2016,                 Assistance Program’’) authorized by the               of the statutory term ‘‘victim of child
                                                however, shareholders of MMFs may                        Victims of Crime Act of 1984 (‘‘VOCA’’).              abuse’’ to make clear OVC’s existing
                                                rely either on this section or on § 1.446–               VOCA authorizes OVC to provide an                     flexible approach of allowing States to
                                                                                                         annual grant from the Crime Victims                   address a broad variety of harm to
                                                7 of the 2014 proposed regulations
                                                                                                         Fund to each State and eligible territory             children. Additional technical changes
                                                REG–107012–14 (79 FR 43694).
                                                                                                         for the financial support of services to              were made in response to comments,
                                                ■ Par. 3. Section 1.6045–1 is amended                    crime victims by eligible crime victim                and are described below.
                                                by revising paragraph (c)(3)(vi) to read                 assistance programs. The rule codifies                   The SAA Program Requirements
                                                as follows:                                              and updates the existing VOCA Victim                  heading sets forth general
                                                                                                         Assistance Program Guidelines                         considerations for SAA use of VOCA
                                                § 1.6045–1 Returns of information of                     (‘‘Guidelines’’) to reflect changes in                funding under the VOCA Assistance
                                                brokers and barter exchanges.                            OVC policy, needs of the crime victim                 Program at the State level, and sets forth
                                                *      *     *    *     *                                services field, and VOCA itself.                      the rules SAAs must follow in meeting
                                                   (c) * * *                                             DATES: Effective Date: This rule is                   the statutory eligibility and certification
                                                                                                         effective August 8, 2016.                             requirements. OVC clarifies that pass-
                                                   (3) * * *                                                Compliance Date: See 28 CFR                        through funding is permissible, and sets
                                                   (vi) Money market funds—(A) In                        94.101(d), as added by this final rule.               parameters for such funding
                                                general. No return of information is                     FOR FURTHER INFORMATION CONTACT: Toni                 arrangements. OVC explains how States
                                                required with respect to a sale of shares                Thomas, Office for Victims of Crime, at               must allocate VOCA funding among
                                                in a regulated investment company that                   (202) 307–5983.                                       various types of victim service
                                                is permitted to hold itself out to                       SUPPLEMENTARY INFORMATION:                            programs, but does not change the
                                                investors as a money market fund under                                                                         allocation percentages set out in the
                                                Rule 2a–7 under the Investment                           I. Executive Summary                                  Guidelines. OVC adds a requirement
                                                Company Act of 1940 (17 CFR 270.2a–                      A. Purpose of the Regulatory Action                   that States maintain a documented
                                                7).                                                                                                            methodology for selecting all sub-
                                                                                                           The Victims of Crime Act of 1984                    recipients. Finally, OVC maintains the
                                                   (B) Effective/applicability date.                     (VOCA) authorizes the Office for                      default monitoring requirements of the
                                                Paragraph (c)(3)(vi)(A) of this section                  Victims of Crime (OVC) to provide an
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                                                                                                                                                               Guidelines, but now permits States to
                                                applies to sales of shares in calendar                   annual formula grant from the Crime                   seek a waiver from the OVC Director to
                                                years beginning on or after July 8, 2016.                Victims Fund to each State and eligible               use alternatives.
                                                Taxpayers and brokers (as defined in                     territory for the purpose of providing
                                                § 1.6045–1(a)(1)), however, may rely on                  assistance to victims of crime.1 These                otherwise, ‘‘the term ‘State’ includes the District of
                                                paragraph (c)(3)(vi)(A) of this section for                                                                    Columbia, the Commonwealth of Puerto Rico, the
                                                                                                           1 Pursuant to 42 U.S.C. 10603(d)(1), and as used    United States Virgin Islands, and any other territory
                                                                                                         in this preamble and rule unless context indicates    or possession of the United States.’’



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Document Created: 2016-07-08 00:17:37
Document Modified: 2016-07-08 00:17:37
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal regulations.
ContactGrace Cho at (202) 317-6895 (not a toll-free number).
FR Citation81 FR 44508 
RIN Number1545-BM04
CFR AssociatedIncome Taxes and Reporting and Recordkeeping Requirements

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