The long-awaited CAMT notice introduces new provisions and expands prior guidance, providing broader-than-expected relief. With layered applicability and reliance rules now in place, companies should revisit their CAMT calculations while continuing engagement with policy calls.
FOR MORE INFORMATION
Tax Insight: IRS provides interim CAMT relief for repairs, Section 197 intangibles, and domestic R&E costs (February 19, 2026)
IN THIS EPISODE
George Manousos, Partner, PwC's Federal Tax Services Practice
Nita Asher, Principal, PwC’s International Tax Services Practice
Colin Campbell, Principal, PwC’s Mergers and Acquisitions Tax Practice
Sindhu Blume, Host, Policy on Demand
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