Andrew Mitchel LLC

International Tax Blog - New and Interesting International Tax Issues


Chart of PLR 202613004 (865(h)(2)(A) Election)

2026-03-28

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Yesterday the IRS published PLR 202613004. In this ruling, the IRS granted an extension of time to make an election under Code §865(h)(2)(A) to treat gain on the sale of foreign stock, where the stock was held through a partnership, as foreign-source income under a treaty.

We created a chart of PLR 202613004.

Tags: 861 Source of Income, Charts - Situational Charts