The CAMT imposes a 15-percent minimum tax on adjusted financial statement income of large corporations for taxable years beginning after Dec. 31, 202 and generally applies to corporation with an aver annual AFSI of more than $1 billion.
The proposed regulations provide definitions and general rules for determining and identifying AFSI and also include rules regarding various statutory and regulatory adjustments in determining AFSI; determining if a corporation is subject to the CAMT, including rules for members of a foreign parented multinational group and the determination of the CAMT foreign tax credit.
The proposals also address the application of CAMT to affiliated corporations filing a consolidated income tax return.
Previously the IRS issued Notice 2023-07, Notice 2023-20, Notice 2023-64 and Notice 2024-10, to provide interim guidance on the CAMT. The proposed regulations issued today include rules incorporating this interim guidance.
Furthermore, the IRS today issued Notice 2024-66 PDF, which waives the penalty for a corporation’s failure to pay estimated tax with respect to its CAMT for a taxable year that begins after Dec. 31, 2023, and before Jan. 1, 2025.