[Code of Federal Regulations]
[Title 26, Volume 1]
[Revised as of April 1, 2003]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.56-1]

[Page 448-471]
 
                       TITLE 26--INTERNAL REVENUE
 
     CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY
 
PART 1--INCOME TAXES--Table of Contents
 
Sec. 1.56-1  Adjustment for the book income of corporations.

    (a) Computation of the book income adjustment--(1) In general. For 
taxable years beginning in 1987, 1988, and 1989, the alternative minimum 
taxable income of any taxpayer is increased by the book income 
adjustment described in this paragraph (a)(1). The book income 
adjustment is 50 percent of the excess, if any, of--
    (i) The adjusted net book income (as defined in paragraph (b) of 
this section) of the taxpayer, over
    (ii) The pre-adjustment alternative minimum taxable income for the 
taxable year.


For purposes of this section, pre-adjustment alternative minimum taxable 
income is alternative minimum taxable income, determined without regard 
to the book income adjustment or the alternative tax net operating loss 
determined under section 56(a)(4). See paragraph (a)(4) of this section 
for examples relating to the computation of the income adjustment.
    (2) Taxpayers subject to the book income adjustment. The book income 
adjustment is applicable to any corporate taxpayer that is not an S 
corporation, regulated investment company (RIC), real estate investment 
trust (REIT), or real estate mortgage investment company (REMIC).
    (3) Consolidated returns. In the case of a taxpayer that is a 
consolidated group, the book income adjustment equals 50 percent of the 
amount, if any, by which its consolidated adjusted net book income (as 
defined in paragraph (b)(3)(i) of this section) exceeds its consolidated 
pre-adjustment alternative minimum taxable income (as defined in 
paragraph (b)(3)(iii) of this section). See paragraph (a)(4), Example 4 
of this section. For purposes of this section, with respect to any 
taxable year the term ``consolidated group'' has the same meaning as in 
Sec. 1.1502-1T. See paragraph (d)(6) of this section for rules relating 
to adjustments attributable to related corporations.
    (4) Examples. The provisions of this paragraph may be illustrated by 
the following examples.

    Example 1. Corporation A has adjusted net book income of $200 and 
pre-adjustment alternative minimum taxable income of $100. A must 
increase its pre-adjustment alternative minimum taxable income by $50 
(($200-$100) x .50).
    Example 2. Corporation B has adjusted net book income of $200 and 
pre-adjustment alternative minimum taxable income of $300. B does not 
have a book income adjustment for the taxable year because its adjusted 
net book income does not exceed its pre-adjustment alternative minimum 
taxable income.
    Example 3. Corporation C has adjusted net book income of negative 
$200 and pre-adjustment alternative minimum taxable income of negative 
$300. C must increase its pre-adjustment alternative minimum taxable 
income by $50 ((-$200 - (-$300)) x .50). Thus, C's alternative minimum 
taxable income determined after the book income adjustment, but without 
regard to the alternative tax net operating loss, is negative $250 (-
$300 + $50).
    Example 4. Corporations D and E are a consolidated group for tax 
purposes. D and E do not have a consolidated financial statement. On 
their separate financial statements D and E have adjusted net book 
income of $100 and $50 respectively, and pre-adjustment alternative 
minimum taxable income of $50 and $80 respectively. Assuming there are 
no intercompany transactions, DE's consolidated adjusted net book income 
(as defined in paragraph (b)(3)(i) of this section) is $150 and its 
consolidated pre-adjustment alternative minimum taxable income (as 
defined in paragraph (b)(3)(iii) of this section) is $130. DE must 
increase its consolidated pre-adjustment alternative minimum taxable 
income by $10 (($150 - $130) x .50).

    (b) Adjusted net book income--(1) In general. ``Adjusted net book 
income'' means the net book income (as defined in paragraph (b)(2) of 
this section) adjusted as provided in paragraph (d) of this section. 
Except as provided in paragraph (d) of this section, a taxpayer may not 
make any adjustments to net book income.
    (2) Net book income--(i) In general. ``Net book income'' means the 
income or loss for a taxpayer reported in the taxpayer's applicable 
financial statement (as defined in paragraph (c) of this section). Net 
book income must

[[Page 449]]

take into account all items of income, expense, gain and loss of the 
taxable year, including extraordinary items, income or loss from 
discontinued operations, and cumulative adjustments resulting from 
accounting method changes. Net book income is not reduced by any 
distributions to shareholders. See paragraph (b)(5)(i) of this section 
for a similar rule for corporations using current earnings and profits 
to compute net book income.
    (ii) Measures of net book income. Except as described in paragraph 
(b)(5) of this section, net book income is disclosed on the income 
statement included in a taxpayer's applicable financial statement. Such 
income statement must reconcile with the balance sheet, if any, that is 
included in the applicable financial statement and must be used in 
computing changes in owner's equity reflected in the applicable 
financial statement. See paragraph (c) of this section for the 
definition of an applicable financial statement.
    (iii) Tax-free transactions and tax-free income. Net book income 
includes income or loss that is reported on a taxpayer's applicable 
financial statement regardless of whether such income or loss is 
recognized, realized or otherwise taken into account for other Federal 
income tax purposes. See paragraph (b)(7), Examples 1, 2 and 3 of this 
section.
    (iv) Treatment of dividends and other amounts. The adjusted net book 
income of a taxpayer shall include the earnings of other corporations 
not filing a consolidated Federal income tax return with the taxpayer 
only to the extent that amounts are required to be included in the 
taxpayer's gross income under chapter 1 of the Code with respect to the 
earnings of such other corporation (e.g., dividends received from such 
corporation and amounts included under subpart A). See paragraph (b)(7), 
Examples 4 and 5 of this section.
    (3) Additional rules for consolidated groups--(i) Consolidated 
adjusted net book income. ``Consolidated adjusted net book income'' 
means the consolidated net book income (as defined in paragraph 
(b)(3)(ii) of this section), after taking into account the adjustments 
under the rules of paragraph (d) of this section.
    (ii) Consolidated net book income. Consolidated net book income is 
the income or loss of a consolidated group as reported on its applicable 
financial statement as defined in paragraph (c)(5) of this section.
    (iii) Consolidated pre-adjustment alternative minimum taxable 
income. Consolidated pre-adjustment alternative minimum taxable income 
is the taxable income of the consolidated group for the taxable year, 
determined with the adjustments provided in sections 56 and 58 (except 
for the book income adjustment and the alternative tax net operating 
loss determined under section 56(a)(4)) and increased by the preference 
items described in section 57.
    (iv) Cross references. See paragraph (c)(5) of this section for 
rules relating to the applicable financial statement of related 
corporations and paragraph (d)(6) of this section for rules relating to 
adjustments attributable to related corporations.
    (4) Computation of adjusted net book income when taxable year and 
financial accounting year differ--(i) In general. If a taxpayer's 
applicable financial statement is prepared on the basis of a financial 
accounting year that differs from the year that the taxpayer uses for 
filing its Federal income tax return, adjusted net book income must be 
computed either--
    (A) By including a pro rata portion of the adjusted net book income 
for each financial accounting year that includes any part of the 
taxpayer's taxable year (see paragraph (b)(7), Example 6 of this 
section), or
    (B) In accordance with the election described in paragraph 
(b)(4)(iii) of this section.
    (ii) Estimating adjusted net book income. If a taxpayer is using the 
pro rata approach described in paragraph (b)(4)(i)(A) of this section 
and an applicable financial statement for part of the taxpayer's taxable 
year is not available when the taxpayer files its Federal income tax 
return, the taxpayer must make a reasonable estimate of adjusted net 
book income for the pro rata portion of the taxable year. If the actual 
pro rata portion of adjusted net book income that results

[[Page 450]]

from the taxpayer's applicable financial statement for the financial 
accounting year exceeds the estimate of adjusted net book income used on 
the original tax return and results in additional tax liability, the 
taxpayer must file an amended Federal income tax return reflecting such 
additional liability. The amended return must be filed within 90 days of 
the date the previously unavailable applicable financial statement is 
available.
    (iii) Election to compute adjusted net book income based on the 
financial statement for the year ending within the taxable year--(A) In 
general. If a taxpayer's accounting year ends five or more months after 
the end of its taxable year, the taxpayer may elect to compute adjusted 
net book income based on the net book income reported on the applicable 
financial statement prepared for the financial accounting year ending 
within the taxpayer's taxable year. See paragraph (b)(7), Examples 7 and 
8 of this section. For purposes of this paragraph (b)(4)(iii)(A), if a 
taxpayer uses a 52-53 week year for financial accounting or Federal 
income tax purposes, the last day of such year shall be deemed to occur 
on the last day of the calendar month ending closest to the end of such 
year.
    (B) Time of making election. An election under this paragraph 
(b)(4)(iii) is made by attaching the statement described in paragraph 
(b)(4)(iii)(C) of this section to the taxpayer's Federal income tax 
return for the first taxable year in which the taxpayer is eligible to 
make the election. An election under this paragraph (b)(4)(iii) that is 
made prior to the first taxable year in which the taxpayer is eligible 
to make the election (as determined under paragraph (b)(4)(iii)(C) of 
this section) is valid unless revoked pursuant to paragraph 
(b)(4)(iii)(D) of this section.
    (C) Eligibility to make and manner of making election. A taxpayer is 
eligible to make the election specified in paragraph (b)(4)(iii)(A) of 
this section in the first taxable year beginning after 1986 in which--
    (1) The taxpayer has an accounting year ending five or more months 
after the end of its taxable year,
    (2) The use of the pro rata approach described in paragraph 
(b)(4)(i)(A) of this section produces an excess of adjusted net book 
income over pre-adjustment alternative minimum taxable income, as 
defined in paragraph (a)(1) of this section, and
    (3) The taxpayer has an excess of tentative minimum tax over regular 
tax for the taxable year, as defined in section 55(a), or is liable for 
the environmental tax imposed by section 59A.

Thus, a taxpayer is not required to evaluate the merits of an election 
to compute its adjusted net book income based on the applicable 
financial statement prepared for the financial accounting year ending 
within the taxpayer's taxable year unless the taxpayer, when using the 
pro rata approach described in paragraph (b)(4)(i)(A) of this section, 
either has an excess of tentative minimum tax over its regular tax or is 
liable for the environmental tax imposed by section 59A. The election 
statement must set forth the electing taxpayer's name, address, taxpayer 
identification number, taxable year and financial accounting year. An 
election under this paragraph (b)(4)(iii) will apply for the taxable 
year when initially made and for all subsequent years until revoked with 
the consent of the District Director.
    (D) Election or revocation of election made on an amended return. An 
election under paragraph (b)(4)(iii) of this section may be made by 
attaching the statement described in paragraph (b)(4)(iii)(C) to an 
amended return for the first taxable year in which the taxpayer is 
eligible to make the election. An election under paragraph (b)(4)(iii) 
of this section that was made prior to the first taxable year in which 
the taxpayer was eligible to make the election, as determined under 
paragraph (b)(4)(iii)(C) of this section, may be revoked by filing an 
amended return for the taxable year in which the election was initially 
made. However, an election made or revoked on an amended return under 
paragraph (b)(4)(iii) of this section will be allowed only if the 
amended return is filed no later than December 14, 1990.
    (iv) Quarterly statement filed with the Securities and Exchange 
Commission (SEC). A taxpayer with different financial accounting and 
taxable years that is required to file both annual and

[[Page 451]]

quarterly financial statements with the SEC may not aggregate quarterly 
statements filed with the SEC in order to obtain a statement covering 
the taxpayer's taxable year. See paragraph (b)(7), Example 9 of this 
section. See paragraph (c)(3)(iv)(B)(1) of this section for priority 
rules relating to statements required to be filed with the SEC.
    (5) Computation of net book income using current earnings and 
profits--(i) In general. If a taxpayer does not have an applicable 
financial statement, or only has a statement described in paragraph 
(c)(1)(iv) of this section and makes the election described in paragraph 
(c)(2) of this section, net book income for purposes of this section is 
equal to the taxpayer's current earnings and profits for its taxable 
year. Generally, a taxpayer's current earnings and profits is computed 
under the rules of section 312 and the regulations thereunder. Current 
earnings and profits therefore is reduced by Federal income tax expense 
and any foreign tax expense for foreign taxes eligible for the foreign 
tax credit under section 27 of the Code. Current earnings and profits is 
then adjusted as described in paragraph (d) of this section to arrive at 
adjusted net book income. No adjustment is made under paragraph (d) of 
this section, however, for any adjustment that is already reflected in 
current earnings and profits. See paragraph (d)(3) of this section for 
adjustments to net book income with respect to certain taxes. For 
purposes of this section, current earnings and profits is not reduced by 
any distribution to shareholders. See paragraph (d)(3)(iv), Example 5 of 
this section.
    (ii) Current earnings and profits of a consolidated group. For 
purposes of this paragraph (b)(5), the current earnings and profits of a 
consolidated group is the aggregate of the current earnings and profits 
of each member of the group, as determined pursuant to paragraph 
(d)(4)(iii) of this section.
    (6) Additional rules for computation of net book income of a foreign 
corporate taxpayer--(i) Adjusted net book income of a foreign taxpayer. 
Adjusted net book income of a foreign corporate taxpayer (``foreign 
taxpayer'') means the effectively connected net book income (as defined 
in paragraph (b)(6)(ii) of this section) of the foreign taxpayer, after 
taking into account the adjustments under the rules of paragraph (d) of 
this section.
    (ii) Effectively connected net book income of a foreign taxpayer--
(A) In general. Effectively connected net book income of a foreign 
taxpayer is the income or loss reported in its applicable financial 
statement (as defined in paragraph (c)(5)(ii) of this section), but only 
to the extent that such amount is attributable to items of income or 
loss that would be treated as effectively connected with the conduct of 
a trade or business in the United States by the foreign taxpayer as 
determined under either the principles of section 864(c) and the 
regulations thereunder, or any other applicable provision of the 
Internal Revenue Code of 1986. Thus, if for tax purposes an item of 
income or loss is treated as effectively connected with the conduct of a 
trade or business in the United States, then the income or loss reported 
on the foreign taxpayer's applicable financial statement attributable to 
such item is effectively connected net book income. See paragraph 
(b)(7), Examples 11, 12 and 13 of this section.
    (B) Certain exempt amounts. Effectively connected net book income 
does not include any amount attributable to an item that is exempt from 
United States taxation under sections 883, 892, 894 or 895 of the 
Internal Revenue Code of 1986. See paragraph (b)(7), Examples 14 and 15 
of this section.
    (iii) Computation of net book income of a foreign taxpayer using 
current earnings and profits. If a foreign taxpayer does not have an 
applicable financial statement or only has a statement described in 
paragraph (c)(1)(iv) of this section and makes the election described in 
paragraph (c)(2) of this section, net book income for purposes of this 
section is equal to the foreign taxpayer's current earnings and profits 
that are attributable to income or loss that is effectively connected 
(or treated as effectively connected) with the conduct of a trade or 
business in the United States. Effectively connected current earnings 
and profits are computed under the rules of section 884(d) and the 
regulations thereunder, relating to effectively connected earnings and

[[Page 452]]

profits for purposes of computing the branch profits tax, but without 
regard to the exceptions set forth under section 884(d)(2)(B) through 
(E). For purposes of this section, effectively connected current 
earnings and profits are not reduced by any remittances or 
distributions. Effectively connected current earnings and profits takes 
into account Federal income tax expense and any foreign tax expense; 
however, see paragraph (d)(3) of this section for adjustments to net 
book income with respect to certain taxes.
    (7) Examples. The provisions of this paragraph may be illustrated by 
the following examples.

    Example 1. Corporation A owns 100 percent of corporation B and the 
AB affiliated group files a consolidated Federal income tax return. AB 
uses a calendar year for both financial accounting and tax purposes. 
During 1987, A transfers all of its stock in B for stock on an acquiring 
corporation in a transaction described in section 368(a)(1)(B). Although 
AB recognizes no taxable gain on the transfer pursuant to section 354, 
gain from the transfer is reported on AB's 1987 applicable financial 
statement. Pursuant to paragraph (b)(2)(iii) of this section, AB's net 
book income includes the book gain attributable to the transfer.
    Example 2. Corporation C uses a calendar year for both financial 
accounting and tax purposes. C adopted a plan of liquidation prior to 
August 1, 1986. On June 1, 1987, C makes a bulk sale of all of its 
assets subject to liabilities and completely liquidates. Pursuant to 
section 633(c) of the Tax Reform Act of 1986 (the Act), section 337, as 
in effect prior to its amendment by the Act, applies. Thus, C will 
generally not recognize taxable gain upon the bulk sale. However, C's 
applicable financial statement for the period January 1, 1987 through 
June 1, 1987, reports net book income of $500, $400 of which is 
attributable to the bulk sale of assets on June 1, 1987. Pursuant to 
paragraph (b)(2)(iii) of this section, C's net book income includes the 
amount attributable to the bulk sale. Thus, assuming C has no other 
adjustments to net book income, its adjusted net book income for the 
period January 1, 1987 through June 1, 1987, is $500.
    Example 3. Corporation Z has a large inventory of marketable 
securities. On its applicable financial statement, Z marks these 
securities to market, i.e., as they appreciate in value, Z restates 
their value on its balance sheet to their fair market value, and 
increases the income on its income statement by that amount. Pursuant to 
paragraph (b)(2)(iii) of this section, the adjusted net book income of Z 
includes the income from the valuation adjustment.
    Example 4. Corporation D owns 100 percent of E, a controlled foreign 
corporation as defined in section 957. Both D and E use a calendar year 
for financial accounting and tax purposes. D's applicable financial 
statement includes E. Pursuant to section 951, D includes $100 of E's 
subpart F income in its gross income for 1987. Although D's applicable 
financial statement is adjusted to eliminate E's income, pursuant to 
paragraph (b)(2)(iv) of this section, D's adjusted net book income for 
1987 includes the $100 of gross income included under section 951.
    Example 5. Corporation F owns 20 percent of G, a foreign 
corporation. Both F and G use a calendar year for financial accounting 
and tax purposes. During 1987, G pays F a $100 dividend. F's applicable 
financial statement accounts for F's investment in G by the equity 
method. F is eligible for a deemed paid foreign tax credit of $30 with 
respect to the dividend from G and must include the $130 in gross income 
pursuant to section 78 of the Code. Although F's applicable financial 
statement is adjusted to eliminate F's income from G under the equity 
method, pursuant to paragraph (b)(2)(iv) of this section, F's adjusted 
net book income for 1987 includes the $130 of gross income recognized 
with respect to the dividend from G.
    Example 6. Corporation H files its Federal income tax return on a 
calendar year basis. However, its applicable financial statement is 
based on a fiscal year ending June 30. H does not make the election 
described in paragraph (b)(4)(iii) of this section. Pursuant to 
paragraph (b)(4)(i) of this section, H's adjusted net book income for 
calendar year 1987 is computed by adding 50 percent of adjusted net book 
income from the applicable financial statement for the year ending June 
30, 1987 and 50 percent of adjusted net book income from the applicable 
financial statement for the year ending June 30, 1988.
    Example 7. Corporation J files its Federal income tax returns for 
1987, 1988, and 1989 on a calendar year basis. However, its applicable 
financial statement is based on a year ending May 31. Pursuant to 
paragraph (b)(4)(iii) of this section, J elects in 1987 to compute its 
adjusted net book income by using the applicable financial statement for 
the fiscal year ending May 31, 1987. Unless the District Director 
consents to revocation of the election, for calendar year 1988 or 1989, 
J's adjusted net book income for 1988 and 1989 is determined from its 
applicable financial statements for the years ending May 31, 1988 and 
May 31, 1989, respectively.
    Example 8. The facts are the same as in Example 7, except that J's 
applicable financial statement is based on a year ending April 30. Since 
April 30, is less than 5 months after December 31, the end of J's 
taxable year, J is

[[Page 453]]

not permitted to make the election described in paragraph (b)(4)(iii) of 
this section.
    Example 9. The facts are the same as in Example 8, except H files 
quarterly and annual financial statements with the Securities and 
Exchange Commission (SEC). The fourth quarter statement is included as a 
footnote to the annual statement that it files with the SEC. Pursuant to 
paragraph (b)(4)(iv) of this section, H may not determine its net book 
income by aggregating its four quarterly statements for 1987. Thus, H's 
net book income is computed as described in Example 8.
    Example 10. Corporation I is a United States corporation with a 100 
percent owned subsidiary, J, a foreign sales corporation (FSC). I uses a 
calendar year for both financial accounting and tax purposes. Income 
from J is consolidated in I's applicable financial statement. I and J do 
not file a consolidated tax return. In 1987, J pays a dividend to I of 
$100 out of J's earnings and profits. For purposes of this example, it 
is assumed that the distribution is made out of the profits attributable 
solely to foreign trade income determined through use of the 
administrative pricing rules of section 925(a) (1) and (2). Accordingly, 
the distribution is eligible for the 100 percent dividends received 
deduction under section 245(c). Although I's applicable financial 
statement is adjusted to eliminate income or loss attributable to J, the 
entire amount of the dividend distribution must be included in I's 
adjusted net book income pursuant to paragraph (b)(2)(iv) of this 
section.
    Example 11. Corporation K is a foreign corporation incorporated 
under the laws of country X. K uses a calendar year for both financial 
accounting and tax purposes. In 1987, K actively conducts a real estate 
business, L, in the United States. The financial statement that is used 
as K's applicable financial statement (as determined under paragraph 
(c)(5)(ii) of this section) discloses total net income of $150. Of this 
amount, $100 is attributable to L's real estate business and $50 is 
attributable to dividends paid to L from its investment in certain 
securities. The securities investment is not connected with L's real 
estate business. Under the rules of section 864, only $100 is 
effectively connected to the conduct of a trade or business in the 
United States. Thus, K's effectively connected net book income for 1987 
equals $100.
    Example 12. Assume the same facts as in Example 11 except that K's 
applicable financial statement also discloses $75 attributable to 
investment real property located in the United States, so that the net 
income amount reported on the financial statement equals $225. The $75 
of income is not effectively connected with the conduct of a trade or 
business in the United States. K, for regular tax purposes, makes an 
election under section 882(d) to treat this income as effectively 
connected with the conduct of a trade or business in the United States. 
As a result, K's effectively connected net book income for 1987 equals 
$175 ($100+$75).
    Example 13. Corporation M is a foreign corporation that actively 
conducts a manufacturing business, N, in the United States. M is a 
calendar year taxpayer for both financial accounting and tax purposes. 
In 1987, the financial statement that is used as M's applicable 
financial statement (as determined under paragraph (c)(5)(ii) of this 
section) reflects an anticipated loss from the sale of a division of N. 
For Federal income tax purposes the loss is not recognized in 1987, but 
rather is recognized in 1988 when M sells the division. In determining 
M's effectively connected net book income for 1987, the anticipated loss 
reported on M's 1987 applicable financial statement is taken into 
account because the reported loss is effectively connected to the 
conduct of a trade or business in the United States under the principles 
of section 864.
    Example 14. Corporation O is a foreign corporation that is engaged 
in the international shipping business. O is incorporated under the laws 
of X. O is a calendar year taxpayer for both financial accounting and 
tax purposes. In 1987, O actively conducts a shipping business, P, 
within the United States. The statement that is used in 1987 as O's 
applicable financial statement (as determined under paragraph (c)(5)(ii) 
of this section) discloses income of $100 that is attributable to P's 
operation of ships in international traffic. Under section 864, $50 is 
effectively connected with the conduct of a trade or business in the 
United States. However, the United States income tax treaty with X 
exempts from United States income tax any income derived by a resident 
of X from the operation of ships in international traffic. Thus, 
pursuant to paragraph (b)(6)(ii)(B) of this section, no amount of P's 
income is includible in O's effectively connected net book income.
    Example 15. Assume the same facts as in Example 14 except that there 
is no United States income tax treaty with X. However, X by statute 
exempts United States citizens and United States corporations from tax 
imposed by X on gross income derived from the operation of a ship or 
ships in international traffic. Under section 883(a), P's income of $50 
that is effectively connected with the conduct of a trade or business in 
the United States is exempt from United States taxation. Thus, pursuant 
to paragraph (b)(6)(ii)(B) of this section, no amount of P's income is 
includible in O's effectively connected net book income.

    (c) Applicable Financial Statement--(1) In general. A taxpayer's 
applicable financial statement is the statement described in this 
paragraph (c)(1) that has

[[Page 454]]

the highest priority, as determined under paragraph (c)(3) of this 
section. Generally, an applicable financial statement includes an income 
statement, a balance sheet (listing assets, liabilities, and owner's 
equity including changes thereto), and other appropriate information. An 
income statement alone may constitute an applicable financial statement 
for purposes of this section if the other materials described in this 
paragraph are not prepared or used by the taxpayer. However, an income 
statement that does not reconcile with financial materials otherwise 
issued will not qualify as an applicable financial statement. For 
purposes of determining the book income adjustment, the following may be 
considered applicable financial statements (subject to the rules 
relating to priority among statements under paragraph (c)(3) of this 
section)--
    (i) Statement required to be filed with the Securities and Exchange 
Commission (SEC). A financial statement that is required to be filed 
with the Securities and Exchange Commission.
    (ii) Certified audited financial statement. A certified audited 
financial statement that is used for credit purposes, for reporting to 
shareholders or for any other substantial non-tax purpose. Such a 
statement must be accompanied by the report of an independent (as 
defined in the American Institute of Certified Public Accountants 
Professional Standards, Code of Professional Conduct, Rule 101 and its 
interpretations and rulings) Certified Public Accountant or, in the case 
of a foreign corporation, a similarly qualified and independent 
professional who is licensed in any foreign country. A financial 
statement is ``certified audited'' for purposes of this section if it 
is--
    (A) Certified to be fairly presented (an unqualified or ``clean'' 
opinion),
    (B) Subject to a qualified opinion that such financial statement is 
fairly presented subject to a concern about a contingency (a qualified 
``subject to'' opinion),
    (C) Subject to a qualified opinion that such financial statement is 
fairly presented, except for a method of accounting with which the 
accountant disagrees (a qualified ``except for'' opinion), or
    (D) Subject to an adverse opinion, but only if the accountant 
discloses the amount of the disagreement with the statement.

Any other statement or report, such as a review statement or a 
compilation report that is not subject to a full audit is not a 
certified audited statement. See paragraph (c)(3)(iv)(B)(2) of this 
section for a special rule for a statement accompanied by a review 
report when there are statements of equal priority. See also paragraph 
(d)(5)(iii) of this section for rules relating to adjustments for 
information disclosed in an accountant's opinion to a certified audited 
statement.

    (iii) Financial statement provided to a government regulator. A 
financial statement that is required to be provided to the Federal 
government or any agency thereof (other than the Securities and Exchange 
Commission), a state government or any agency thereof, or a political 
subdivision of a state or any agency thereof. An income tax return, 
franchise tax return or other tax return prepared for the purpose of 
determining any tax liability that is filed with a Federal, state or 
local government or agency cannot be an applicable financial statement.
    (iv) Other financial statements. A financial statement that is used 
for credit purposes, for reporting to shareholders, or for any other 
substantial non-tax purpose, even though such financial statement is not 
described in paragraphs (c)(1)(i) through (c)(1)(iii) of this section.
    (v) Required use of current earnings and profits. If a taxpayer does 
not have a financial statement described in paragraphs (c)(1)(i) through 
(c)(1)(iv) of this section, the taxpayer does not have an applicable 
financial statement. In that case, net book income for the taxable year 
will be treated as being equal to the taxpayer's current earnings and 
profits for the taxable year. See paragraph (b)(5) of this section for 
rules relating to the computation of current earnings and profits for 
the taxable year. See paragraph (c)(4) of this section for rules 
relating to use of a financial statement for a substantial non-tax 
purpose.
    (2) Election to treat net book income as equal to current earnings 
and profits for

[[Page 455]]

the taxable year--(i) In general. If a taxpayer's only financial 
statement is a statement described in paragraph (c)(1)(iv) of this 
section, the taxpayer may elect to treat net book income as equal to the 
taxpayer's current earnings and profits for all taxable years in which 
the taxpayer is eligible to make the election.
    (ii) Time of making election. An election under this paragraph 
(c)(2) is made by attaching the statement described in paragraph 
(c)(2)(iii) of this section to the taxpayer's Federal income tax return 
for the first taxable year the taxpayer is eligible to make the 
election. An election under this paragraph (c)(2), which is made prior 
to the first taxable year in which the taxpayer is eligible to make the 
election, as determined under paragraph (c)(2)(iii) of this section, is 
valid unless revoked pursuant to paragraph (c)(2)(iv) of this section.
    (iii) Eligibility to make and manner of making election. A taxpayer 
is eligible to make the election in the first taxable year in which--
    (A) The taxpayer has an applicable financial statement described in 
paragraph (c)(1)(iv) of this section;
    (B) The use of this applicable financial statement produces an 
excess of adjusted net book income over preadjustment alternative 
minimum taxable income, as defined in paragraph (a)(1) of this section, 
and
    (C) The taxpayer has, as determined under section 55(a), an excess 
of tentative minimum tax over regular tax for the taxable year, or is 
liable for the environmental tax imposed by section 59A.

Thus, a taxpayer is not required to evaluate the merits of an election 
to use its current earnings and profits as its net book income unless 
the taxpayer, when using an applicable financial statement described in 
paragraph (c)(1)(iv) of this section, has an excess of tentative minimum 
tax over its regular tax or is liable for the environmental tax imposed 
by section 59A. The election statement must set forth the electing 
taxpayer's name, address and taxpayer identification number, state that 
the election is being made under the provisions of section 56(f)(3)(B), 
and state that the only financial statement of the taxpayer is a 
financial statement described in paragraph (c)(1)(iv) of this section. 
An election under this paragraph (c)(2) is effective for every taxable 
year in which the taxpayer does not have a financial statement described 
in paragraphs (c)(1)(i) through (c)(1)(iii) of this section and may be 
revoked only with the consent of the District Director. See paragraph 
(c)(6), Example 1 of this section.

    (iv) Election or revocation of election made on an amended return. 
An election under paragraph (c)(2) of this section may be made by 
attaching the statement described in paragraph (c)(2)(iii) to an amended 
return for the first taxable year in which the taxpayer is eligible to 
make the election. An election under paragraph (c)(2) of this section 
that was made prior to the first taxable year in which the taxpayer was 
eligible to make the election, as determined under paragraph (c)(2)(iii) 
of this section, may be revoked by filing an amended return for the 
taxable year in which the election was initially made. However, an 
election made or revoked on an amended return will be allowed only if 
the amended return is filed no later than December 14, 1990.
    (v) Election by common parent of consolidated group. The election by 
the common parent of a consolidated group to treat net book income as 
equal to current earnings and profits shall bind all members of the 
group. This rule shall not apply in the case of any taxpayer that first, 
has made the election on a return filed before August 16, 1990, second, 
applied the election only to those members of the group that are 
themselves eligible to make the election, and third, properly 
consolidated the adjusted net book income of the group. In order to 
change its election to apply to all members of the group, a taxpayer 
must attach a statement to an amended return for the first taxable year 
the taxpayer is eligible to make the election. However, an election made 
on an amended return under this paragraph (c)(2)(iv) will be allowed 
only if the amended return is filed no later than December 14, 1990. See 
paragraph (b)(5)(ii) of this section regarding the current earnings and 
profits of a consolidated group. See paragraph

[[Page 456]]

(d)(4)(iii) of this section for adjustments that apply when a 
consolidated group uses current earnings and profits to compute its net 
book income.
    (3) Priority among statements--(i) In general. If a taxpayer has 
more than one financial statement described in paragraphs (c)(1)(i) 
through (c)(1)(iv) of this section, the taxpayer's applicable financial 
statement is the statement with the highest priority. Priority is 
determined in the following order--
    (A) A financial statement described in paragraph (c)(1)(i) of this 
section.
    (B) A certified audited statement described in paragraph (c)(1)(ii) 
of this section.
    (C) A financial statement required to be provided to a Federal or 
other government regulator described in paragraph (c)(1)(iii) of this 
section.
    (D) Any other financial statement described in paragraph (c)(1)(iv) 
of this section.

For example, corporation A, which uses a calendar year for both 
financial accounting and tax purposes, prepares a financial statement 
for calendar year 1987 that is provided to a state regulator and an 
unaudited financial statement that is provided to A's creditors. The 
statement provided to the state regulator is A's financial statement 
with the highest priority and thus is A's applicable financial 
statement.

    (ii) Special priority rules for use of certified audited financial 
statements and other financial statements. In the case of financial 
statements described in paragraphs (c)(1)(ii) and (c)(1)(iv) of this 
section, within each of these categories the taxpayer's applicable 
financial statement is determined according to the following priority--
    (A) A statement used for credit purposes,
    (B) A statement used for disclosure to shareholders, and
    (C) Any other statement used for other substantial non-tax purposes.

For example, corporation B uses a calendar year for both financial 
accounting and tax purposes. B prepares a financial statement for 
calendar year 1987 that it uses for credit purposes and prepares another 
financial statement for calendar year 1987 that it uses for disclosure 
to shareholders. Both financial statements are unaudited. The statement 
used for credit purposes is B's financial statement with the highest 
priority and thus is B's applicable financial statement.

    (iii) Priority among financial statements provided to a government 
regulator. In the case of two or more financial statements described in 
paragraph (c)(1)(iii) of this section (relating to financial statements 
required to be provided to a Federal or other governmental regulator) 
that are of equal priority, the taxpayer's applicable financial 
statement is determined according to the following priority--
    (A) A statement required to be provided to the Federal government or 
any of its agencies,
    (B) A statement required to be provided to a State government or any 
of its agencies, and
    (C) A statement required to be provided to any subdivision of a 
state or any agency of a subdivision.

    (iv) Statements of equal priority--(A) In general. Except as 
provided in paragraph (c)(3)(iv)(B) and paragraph (c)(5)(i)(B) of this 
section, if a taxpayer has two or more financial statements of equal 
priority (determined under paragraphs (c)(3)(i), (c)(3)(ii) and 
(c)(3)(iii) of this section), the taxpayer's applicable financial 
statement is the statement that results in the greatest amount of 
adjusted net book income.
    (B) Exceptions to the general rule in paragraph (c)(3)(iv)(A)--(1) 
In the case of two or more financial statements described in paragraph 
(c)(1)(i) of this section (relating to financial statements required to 
be filed with the SEC) that are of equal priority, a certified audited 
financial statement has a higher priority than an unaudited financial 
statement.
    (2) In the case of two or more financial statements described in 
paragraph (c)(1)(iv) of this section (relating to other financial 
statements) that are of equal priority, a financial statement 
accompanied by an auditor's ``review report'' has a higher priority than 
another financial statement of otherwise equal priority. For purposes of 
this section, an auditor's review report is defined in the American 
Institute of Certified Public Accountant Professional

[[Page 457]]

Standards, AR section 100.32. See paragraph (c)(6), Examples and 3 of 
this section.
    (4) Use of financial statement for a substantal non-tax purpose. In 
order to be an applicable financial statement for purposes of computing 
the book income adjustment, a financial statement described in paragraph 
(c)(1)(ii) or (c)(1)(iv) must be used by the taxpayer for credit 
purposes, for disclosure to shareholders, or for any other substantial 
non-tax purpose. A financial statement is used by a taxpayer if the 
taxpayer reasonably anticipates that users of the statement will rely on 
it for non-tax purposes. Thus, a financial statement used for the 
purpose of computing the book income adjustment is not an applicable 
financial statement even if it is provided to shareholders or creditors, 
unless the taxpayer reasonably anticipates that users of the statement 
will rely on it for non-tax purposes. See paragraph (c)(6), Examples 4, 
5, 19 and 20 of this section.
    (5) Special rules--(i) Applicable financial statement of related 
corporations--(A) Applicable financial statement of a consolidated 
group. The applicable financial statement of a consolidated group (as 
defined in paragraph (a)(3) of this section) is the financial statement 
of the common parent (within the meaning of section 1504(a)(1)) of the 
consolidated group that has the highest priority under the rules of 
paragraphs (c)(3)(i), (c)(3)(ii) and (c)(5)(i)(B) of this section. See 
paragraph (d)(6)(i) of this section for rules relating to adjustments to 
net book income of a consolidated group. See paragraph (c)(6), Example 7 
of this section. See paragraph (c)(2)(iv) of this section for rules 
relating to the election by the common parent of a consolidated group to 
use current earnings and profits to compute net book income.
    (B) Special rule for statements of equal priority. If a consolidated 
group has two or more financial statements of equal priority (determined 
under paragraphs (c)(3)(i) and (c)(3)(ii) of this section and this 
paragraph (c)(5)), the consolidated group's applicable financial 
statement is determined under either paragraph (c)(5)(i)(B) (1) or (2), 
whichever is applicable.
    (1) Two or more financial statements reporting on the same 
corporations. If two or more financial statements of equal priority 
report on the same corporations, the consolidated group's applicable 
financial statement is determined under the rules of paragraph 
(c)(3)(iv) of this section. Thus, the financial statement that results 
in the greatest consolidated adjusted net book income is the 
consolidated group's applicable financial statement.
    (2) Two or more financial statements reporting on different 
corporations. If two or more financial statements of equal priority 
report on different corporations, the consolidated group's applicable 
financial statement is--
    (i) The statement that reflects the greatest amount of gross 
receipts attributable to members of the consolidated group, or
    (ii) The statement that reflects the greatest amount of gross 
receipts (including gross receipts attributable to corporations that are 
not members of the consolidated group), but only if the consolidated 
group has financial statements of equal priority after applying the 
rules of paragraph (c)(5)(i)(B)(2)(i).

If after applying the rules of paragraphs (c)(5)(i)(B)(2) (i) and (ii) 
of this section, the consolidated group still has financial statements 
of equal priority, the rules of paragraph (c)(3)(iv) of this section 
apply. See paragraph (c)(6), Examples 7 and 8 of this section.

    (C) Special rule for related corporations. If any portion of the net 
book income of a corporation (the ``first corporation'') is included on 
the applicable financial statement of a second corporation, but the 
first and second corporations are not members of the same consolidated 
group, the applicable financial statement of the second corporation is 
disregarded when determining the applicable financial statement of the 
first corporation. Thus, the applicable financial statement of the first 
corporation is the financial statement of highest priority determined 
under the rules of paragraph (c)(3) of this section without regard to 
the financial statement of the second corporation. Pursuant to paragraph 
(c)(1)(iv) of this section, if a separate financial statement is not 
prepared by the first corporation, the rules of paragraph (b)(5)

[[Page 458]]

(relating to current earnings and profits) apply. See paragraph (c)(6), 
Examples 9 and 10 of this section.
    (D) Anti-abuse rule. The special rules of this paragraph (c)(5)(i) 
will not apply if the taxpayer rearranges its corporate structure or 
modifies its financial reporting and the principal purpose of such 
action is to use the special rules of this paragraph (c)(5)(i) to reduce 
the amount of the book income adjustment. In such cases, the District 
Director may, based upon all the facts and circumstances, determine the 
taxpayer's applicable financial statement. See paragraph (c)(6), 
Examples 13 and 14 of this section.
    (ii) Applicable financial statement of a foreign corporation with a 
United States trade or business--(A) In general. The applicable 
financial statement of a foreign taxpayer conducting one or more trades 
or businesses in the United States is the financial statement prepared 
by any such trade or business (or attributable to more than one such 
trades or businesses) that has the highest priority as determined under 
paragraph (c)(3) of this section. See paragraph (c)(6), Example 15 of 
this section.
    (B) Special rules for applicable financial statement of a trade or 
business of a foreign taxpayer--(1) Financial statement prepared under 
foreign generally accepted accounting principles. Subject to the rules 
of this section, a financial statement prepared by a United States trade 
or business using generally accepted accounting principles of a foreign 
country may be an applicable financial statement under this paragraph 
(c). See paragraph (c)(6), Example 16 of this section.
    (2) Financial statement denominated in United States dollars. Except 
as provided in paragraph (c)(5)(ii)(D) of this section, the financial 
statement of a United States trade or business must be denominated in 
United States dollars in order to be considered the applicable financial 
statement of the foreign taxpayer under this paragraph (c). See 
paragraph (c)(6), Example 17 of this section.
    (C) Special rule for statements of equal priority. If a foreign 
taxpayer has two or more financial statements of equal priority 
(determined under paragraphs (c)(3)(i) and (c)(3)(ii) of this section 
and this paragraph (c)(5)(ii)), the foreign taxpayer's applicable 
financial statement is determined under either paragraph (c)(5)(ii)(C) 
(1) or (2) of this section, whichever is applicable.
    (1) Two or more financial statements reporting on the same trades or 
businesses. If two or more financial statements of equal priority report 
on the same United States trades or businesses, the applicable financial 
statement of the foreign taxpayer is determined under the rule of 
paragraph (c)(3)(iv) of this section. In applying this rule, adjusted 
net book income (as defined under paragraph (b)(6) of this section) 
shall be used. Thus, the financial statement that results in the 
greatest amount of adjusted net book income is the foreign taxpayer's 
applicable financial statement.
    (2) Two or more financial statements reporting on different trades 
or businesses. If two or more financial statements of equal priority 
report on different United States trades or businesses, the foreign 
taxpayer's applicable financial statement is--
    (i) The financial statement that reflects the greatest amount of 
gross receipts attributable to United States trades or businesses, or
    (ii) If after applying the rules of paragraph (c)(5)(ii)(C)(2)(i) of 
this section, the foreign taxpayer still has financial statements of 
equal priority, the financial statement determined under the rules of 
paragraph (c)(3)(iv) of this section (using effectively connected 
adjusted net book income).

See paragraph (c)(6), Example 18 of this section.
    (D) Anti-abuse rules. The special rules of this paragraph (c)(5)(ii) 
will not apply if a trade or business conducted in the United States by 
a foreign taxpayer modifies its financial reporting and the principal 
purpose of such action is to reduce the amount of the book income 
adjustment. In such cases, the District Director may, based upon all the 
facts and circumstances, determine the taxpayer's applicable financial 
statement. See paragraph (c)(6), Example 21, of this section.
    (iii) Supplement or amendment to an applicable financial statement--
(A) Excluding a restatement of net book income.

[[Page 459]]

An applicable financial statement includes any supplement or amendment 
thereto (excluding a restatement of net book income) for the taxable 
year that is prepared and used for a substantial non-tax purpose (within 
the meaning of paragraph (c)(4) of this section) prior to the date the 
taxpayer's Federal income tax return for the taxable year would be due 
if the time for filing were extended under section 6081. For example, a 
calendar year taxpayer's applicable financial statement includes any 
supplement or amendment prepared and used prior to September 15 of the 
year immediately following its taxable year. If a taxpayer files its 
Federal income tax return before the issuance of a supplement or 
amendment to the applicable financial statement and before the extended 
due date for filing under section 6081, the taxpayer must file an 
amended Federal income tax return reporting any additional tax that 
results from treating the supplement or amendment as part of the 
applicable financial statement. A supplement or amendment (excluding 
restatements of net book income) to an applicable financial statement 
after the date specified in section 6081 is disregarded for purposes of 
the book income adjustment.
    (B) Restatement of net book income. If a taxpayer restates net book 
income in what otherwise would have been its applicable financial 
statement (its ``original financial statement''), referred to in this 
section as a ``restatement of net book income,'' prior to the date that 
the taxpayer's Federal income tax return for such taxable year would be 
due if the time for filing were extended under section 6081, then--
    (1) If the financial statement that includes the restated net book 
income is of a higher priority than the original financial statement, 
the restated financial statement is the taxpayer's applicable financial 
statement.
    (2) If the financial statement that includes the restated net book 
income is of equal priority to the original financial statement and--
    (i) The restatement is attributable to an error (as described in 
Accounting Principles Board Opinion No. 20, paragraph 13), the restated 
financial statement is the taxpayer's applicable financial statement, or
    (ii) The restatement is not attributable to an error, the original 
and restated financial statements will be considered of equal priority, 
and paragraph (c)(3)(iv) will apply. Thus, the taxpayer's applicable 
financial statement is the financial statement that results in the 
greatest amount of adjusted net book income.

See paragraph (d)(4)(iv) of this section for rules that apply to 
restatements occurring after the due date (including the extension under 
section 6081) of the return for the taxable year to which the applicable 
financial statement relates. See paragraph (c)(6), Examples 11 and 12 of 
this section.
    (6) Examples. The provisions of this paragraph may be illustrated by 
the following examples.

    Example 1. In 1987, Corporation A only has a financial statement 
described in paragraph (c)(1)(iv) of this section and elects to treat 
net book income as equal to its current earnings and profits. In 1988, A 
has a certified audited financial statement (as described in paragraph 
(c)(1)(ii) of this section). In 1989, A only has a statement described 
in paragraph (c)(1)(iv) of this section. In 1988, A's certified audited 
financial statement is its applicable financial statement. However, in 
1989, A is bound by the election it made in 1987 (unless revoked with 
the consent of the District Director) and must treat net book income as 
equal to its current earnings and profits.
    Example 2. Corporation B prepares two unaudited financial 
statements. Both statements are distributed to creditors and are used 
for substantial non-tax purposes. The first financial statement is 
accompanied by an auditor's review report while the second statement has 
no auditor's review report. B has no other financial statement. Pursuant 
to paragraph (c)(3)(iv)(B)(2) of this section, the financial statement 
accompanied by the auditor's review report is B's applicable financial 
statement.
    Example 3. Assume the same facts as in Example (2), except the 
financial statement accompanied by an auditor's review report is 
distributed to shareholders while the other statement is distributed to 
creditors, and both statements are used for substantial non-tax 
purposes. Pursuant to paragraph (c)(3)(ii) of this section, B's 
applicable financial statement is the statement distributed to its 
creditors. Paragraph (c)(3)(iv)(B)(2) of this section does not apply 
because the two statements are not of equal priority after applying 
paragraphs (c)(3) (i) and (ii) of this section.

[[Page 460]]

    Example 4. Corporation C is a closely held corporation with two 
shareholders. Both shareholders participate in the business on a day-to-
day basis and are aware of the financial status of the business. C 
prepares a financial statement that is used by C's two shareholders to 
calculate bonuses. The financial statement prepared by C is used for a 
substantial non-tax purpose.
    Example 5. Corporation D prepares a financial statement that it only 
sends to banks with which D is neither currently doing business nor 
negotiating. D does not reasonably anticipate that the financial 
statement will be relied on by the banks for any non-tax purpose, and 
therefore, for purposes of computing net book income, the financial 
statement is not used for a substantial non-tax purpose. The result 
would be the same if D sent the statement to a bank whose only 
relationship to D is that it holds a mortgage on D's property and D's 
rights and obligations under the mortgage are not affected by changes in 
its financial condition. The result would also be the same if D sent the 
statement to a bank with which D is doing business, and the statement is 
not reasonably expected to come to the attention of the bank's employees 
who are responsible for D's account.
    Example 6. Corporation E and its subsidiaries, F and G are a 
consolidated group. Certified audited financial statements are prepared 
by EF and by FG. Both statements are used for substantial non-tax 
purposes. Pursuant to paragraph (c)(5)(i)(A) of this section, the 
financial statement that is prepared by EF is the applicable financial 
statement of the consolidated group. However, pursuant to paragraph 
(d)(6)(i)(B) of this section, an adjustment will be required to include 
the adjusted net book income attributable to G. The result would be the 
same even if the financial statement prepared by FG is of higher 
priority (under the rules of paragraph (c)(3) of this section) than the 
statement prepared by E and F.
    Example 7. Corporation H and its subsidiaries I, J, and K are a 
consolidated group. Certified audited financial statements are prepared 
by H and I and by H, J, and K. Both statements are used for substantial 
non-tax purposes. The financial statement prepared by H, J, and K 
includes the greater amount of gross receipts attributable to members of 
the consolidated group and thus, pursuant to paragraph 
(c)(5)(i)(B)(2)(i) of this section, it is the consolidated group's 
applicable financial statement.
    Example 8. Corporation L and its subsidiary M are a consolidated 
group. Corporation L also owns 100 percent of N, a foreign corporation 
that is not part of the consolidated group. A certified audited 
financial statement prepared by L, M and N discloses gross receipts of 
$200, of which $150 is attributable to L and M, and a separate certified 
audited financial statement prepared by L and M discloses gross receipts 
of $150. Both statements are used for substantial non-tax purposes. 
Pursuant to paragraph (c)(5)(i)(B) of this section, the consolidated 
group's applicable financial statement is the statement prepared by L, M 
and N.
    Example 9. Corporation O is 60 percent owned by corporation P and 40 
percent owned by corporation Q. Both P and Q prepare financial 
statements that are required to be filed with the SEC reflecting their 
respective interests in O. O also separately prepares a certified 
audited financial statement, or uses a summary of its books and records 
for credit purposes. Under paragraph (c)(5)(i)(C), O's separate 
statement is its applicable financial statement.
    Example 10. Assume the same facts as in Example 9 except that O does 
not prepare a separate financial statement or a summary of its books and 
records for credit purposes. Pursuant to paragraph (c)(5)(i)(C) of this 
section, O must treat its net book income as equal to its current 
earnings and profits.
    Example 11. Corporation R uses a calendar year for both financial 
accounting and tax purposes. Initially, R issues its calendar year 1987 
financial statement on March 1, 1988. R's adjusted net book income 
resulting from this statement is $80. This would be R's applicable 
financial statement for 1987, but for the restatement described in the 
next sentence. On September 1, 1988, R restates its 1987 financial 
statement to correct an error (as described in Accounting Principles 
Board Opinion No. 20, paragraph 13). The restated financial statement is 
of the same priority as the initial financial statement. The restatement 
results in adjusted net book income for calendar year 1987 of $50. 
Pursuant to paragraph (c)(5)(iii)(B)(2)(i) of this section, the restated 
financial statement is treated as R's 1987 applicable financial 
statement.
    Example 12. Assume the same facts as in Example (11), except that R 
restates its financial statement in order to reflect a change in 
accounting method. Since the restatement does not result from an error, 
paragraph (c)(5)(iii)(B)(2)(i) of this section does not apply. Pursuant 
to paragraph (c)(5)(iii)(B)(2)(ii) of this section, R's 1987 applicable 
financial statement is the financial statement for 1987 that results in 
the greater amount of adjusted net book income. Thus, R's March 1, 1988 
financial statement is treated as its 1987 applicable financial 
statement.
    Example 13. Corporation S, which is not a member of an affiliated 
group, uses a calendar year for both financial accounting and tax 
purposes. S's 1987 applicable financial statement is a certified audited 
financial statement. On January 1, 1988, S transfers all of its assets 
subject to liabilities to T, a newly created subsidiary that is 100 
percent owned by S. The principal purpose of the

[[Page 461]]

transfer is to use the special rules of paragraph (c)(5)(i) of this 
section to reduce the adjusted net book income of S. For calendar year 
1988, T prepares and uses a certified audited financial statement. Since 
S's only asset is its investment in T, S does not prepare a financial 
statement for calendar year 1988. In addition, since S is only a holding 
company, T's 1988 certified audited financial statement reports the same 
net book income that would have been reported on a consolidated ST 
financial statement. If paragraph (c)(5)(i)(D) of this section does not 
apply, ST's 1988 applicable financial statement is the financial 
statement of S (the parent of the consolidated group) with the highest 
priority. Under paragraph (c)(1) of this section, since S does not have 
a financial statement in 1988, the net book income of the ST 
consolidated group is ordinarily deemed to equal the aggregate earnings 
and profits of the members of the consolidated group. However, given 
these facts, the District Director may determine that the 1988 certified 
audited financial statement of T is the 1988 applicable financial 
statement of the ST consolidated group.
    Example 14. The facts are the same as in Example 13, except that S 
has owned 100 percent of T for several years prior to calendar year 
1987. In addition, prior to 1987, ST prepared a consolidated certified 
audited financial statement. For calendar year 1987, ST does not prepare 
a consolidated certified audited financial statement. Instead, T 
prepares and uses a certified audited financial statement while S does 
not prepare a financial statement. The principal purpose of the change 
in financial reporting is to use the special rules of paragraph 
(c)(5)(i) of this section to reduce the adjusted net book income of the 
ST consolidated group. Given these facts, the District Director may 
determine that the 1987 certified audited financial statement of T is 
the 1987 applicable financial statement of the ST consolidated group.
    Example 15. Corporation U is a foreign corporation incorporated in 
A. U is a calendar year taxpayer for both financial accounting and tax 
purposes. U actively conducts three real estate businesses, X, Y and Z, 
in the United States. In 1987, X prepares a certified audited financial 
statement that it provides to its United States creditor. In addition, 
in 1987, X, Y and Z each prepare unaudited financial statements that 
they provide to U for incorporation in U's worldwide financial 
statement. Under paragraph (c)(5)(ii)(A) of this section, U's applicable 
financial statement is the certified audited financial statement 
prepared by X. However, pursuant to paragraph (d)(7) of this section, an 
adjustment is required to include any of U's effectively connected net 
book income that is not included in X's certified audited financial 
statement (i.e., the effectively connected net book income attributable 
to Y and Z).
    Example 16. Corporation A is a foreign corporation incorporated in 
Z. A is a calendar year taxpayer for both financial accounting and tax 
purposes. A actively conducts a real estate business, B, in the United 
States. B prepares a certified audited financial statement for 1987 
using the accounting principles of Z that it provides to A for 
incorporation into A's worldwide financial statement. In addition, B 
prepares a review statement for 1987 using United States generally 
accepted accounting principles that it provides to its United States 
creditors. Both the certified statement and the review statement are 
denominated in United States dollars. Under paragraphs (c)(5)(ii)(A) and 
(c)(5)(ii)(B)(1) of this section, the financial statement prepared under 
the accounting principles of Z is the applicable financial statement.
    Example 17. Assume the same facts as in Example (16) except that 
amounts are reported on B's certified audited financial statement in the 
currency of Z and amounts are reported on B's review statement in United 
States dollars. Since the review statement is denominated in United 
States dollars, under paragraph (c)(5)(ii)(B)(2) of this section, it is 
the applicable financial statement.
    Example 18. Corporation C is a foreign corporation incorporated in 
Z. C is a calendar year taxpayer for both financial accounting and tax 
purposes. C actively conducts two real estate businesses, D and E, in 
the United States. D and E each separately prepare a certified audited 
financial statement for 1987 that they provide to their United States 
creditors. D's financial statement reports gross receipts of $100. E's 
financial statement reports gross receipts of $200. Under paragraph 
(c)(5)(ii)(C)(2) of this section, E's certified audited financial 
statement is the applicable financial statement and must be adjusted 
under the rules of paragraph (d)(7) of this section to include 
effectively connected book income attributable to D.
    Example 19. F is a foreign corporation incorporated in X. F is a 
calendar year taxpayer for both financial accounting and tax purposes. F 
actively conducts a banking business, G, in the United States. G has 
been engaged in business in the United States since 1977. For the years 
1977 through 1986, G did not prepare a separate financial statement. 
However, each year G provided F with its books, records and other raw 
financial data. F used this data in preparing its worldwide financial 
statement. G provides F with its 1987 books and records on January 5, 
1988, in accordance with its historic practice. On February 15, 1988, G 
prepares an unaudited financial statement for calendar year 1987 that it 
provides to F. The principal purpose of creating this financial 
statement is to reduce net book income. Under these facts, the financial 
statement provided by G is not intended to be reasonably relied upon by 
F in

[[Page 462]]

preparing its worldwide financial statement. Therefore, for purposes of 
computing net book income, G's financial statement has not been used for 
a substantial non-tax purpose.
    Example 20. Assume the same facts as in Example 19 except that for 
purposes of preparing F's 1987 worldwide financial statement, G does not 
provide F with any raw financial data, and G only provides F with an 
audited financial statement that is prepared for a substantial non-tax 
purpose. Under these facts, the financial statement provided by G is 
intended to be relied upon by F in preparing its worldwide financial 
statement. Therefore, for purposes of computing net book income, G's 
financial statement has been used for a substantial non-tax purpose.
    Example 21. Corporation H is a foreign corporation incorporated in 
I. H is a calendar year taxpayer for both financial accounting and tax 
purposes. H actively conducts a real estate business, J, in the United 
States. For the years 1976 through 1986, J prepared a certified audited 
financial statement using United States dollars that it provided to H. 
In 1987, J prepares a certified audited financial statement using the 
currency of I. The principal purpose of the modification of J's 
financial reporting is to reduce the amount of the book income 
adjustment. Given these facts, the District Director may determine that 
J's 1987 certified audited financial statement prepared in the currency 
of I is J's applicable financial statement for 1987, and such statement 
must be converted into United States dollars based upon the translation 
used to prepare the certified audited financial statement in the 
currency of I. Accordingly, the effectively connected net book income of 
J for 1987 is the effectively connected net book income reported on the 
financial statement that has been converted into United States dollars.

    (d) Adjustments to net book income--(1) In general. Adjusted net 
book income is computed by making the adjustments described in this 
paragraph (d) to net book income (as defined in paragraph (b)(2) of this 
section). No adjustment may be made to net book income except as 
provided in this paragraph (d).
    (2) Definitions--(i) Historic practice. For purposes of this 
paragraph (d), historic practice is defined as an accounting practice 
that--
    (A) Was used consistently by the taxpayer for each of the 2 years 
immediately preceding its first taxable year beginning after 1986, and
    (B) Was used on the financial statement that would have been the 
taxpayer's applicable financial statement (as determined under paragraph 
(c) of this section) for each of the 2 years immediately preceding its 
first taxable year beginning after 1986 if section 56(f), as amended by 
the Tax Reform Act of 1986, had been in effect.

Thus, in order for a calendar year corporation to have an historic 
practice in 1987, the corporation must have used the accounting practice 
in its 1985 and 1986 financial statements. However, to be treated as 
used for purposes of this paragraph, an accounting practice must have 
been used prior to April 23, 1987. For example, an accounting practice 
that is first used after April 23, 1987, in a restatement of a 
taxpayer's 1985 and 1986 financial statements is not the taxpayer's 
historic practice.
    (ii) Accounting literature. For purposes of this paragraph (d), the 
term ``accounting literature'' means--
    (A) Generally accepted accounting principles (GAAP) as defined in 
the American Institute of Certified Public Accountants Professional 
Standards, AU Sec. 411.05, paragraphs (a) through (c), and
    (B) Pronouncements by the SEC including, but not limited to, 
Regulations S-X, SEC Financial Reporting Releases, and SEC Staff 
Accounting Bulletins,

that are effective for the accounting period covered by the applicable 
financial statement.
    (3) Adjustments for certain taxes--(i) In general. Net book income 
for purposes of this paragraph (d) must be adjusted to disregard (for 
example, by adding back) any Federal income taxes or income, war 
profits, or excess profits taxes imposed by any foreign country or 
possession of the United States that are directly or indirectly taken 
into account on the taxpayer's applicable financial statement. No 
adjustment is made for taxes not described in the preceding sentence. 
Taxes directly or indirectly taken into account consist of the 
taxpayer's total income tax expense that includes both current and 
deferred income tax expense. In addition, items of income and expense, 
including extraordinary items that are stated net of tax, must be 
adjusted to disregard the taxes described in this paragraph (d)(3)(i). 
See paragraph (d)(4)(vii) of this section for an adjustment for certain 
deferred foreign taxes.

[[Page 463]]

    (ii) Exception for certain foreign taxes. Net book income is not 
adjusted to disregard taxes imposed by a foreign country or possession 
of the United States if the taxpayer does not choose to take the 
benefits of section 901 (relating to the foreign tax credit) with 
respect to these taxes for the taxable year. The rule in the preceding 
sentence only applies to the amount of taxes the taxpayer deducts in the 
current taxable year under section 164(a). See paragraph (d)(3)(iv), 
Example 4 of this section. Net book income also is not adjusted to 
disregard foreign taxes that cannot be claimed as a credit (other than 
by virtue of a foreign tax credit limitation). Thus, a taxpayer does not 
add back to net book income any taxes it is not allowed to claim as a 
credit against its United States income tax liability because of section 
245(a)(8), 901(j), 907(b) or 908 of the Code.
    (iii) Certain valuation adjustments. Income tax expense under 
paragraph (d)(3)(i) of this section does not include valuation 
adjustments such as the valuation adjustments related to purchase 
accounting described in Accounting Principles Board (APB) Opinion No. 
16, paragraph 89. However, income tax expense does include the tax 
associated with any gain or loss on the sale or other disposition of any 
asset the basis of which was adjusted under paragraph 89 of Opinion 16. 
See paragraph (d)(3)(iv), Example 6 of this section.
    (iv) Examples. The provisions of this paragraph may be illustrated 
by the following examples:

    Example 1. Corporation A has $120 of net book income. In calculating 
net book income, A has deducted $20 of state income tax expense and $60 
of Federal income tax expense. Assuming there are no other adjustments 
to net book income, A's adjusted net book income is $180 ($120 of net 
book income + $60 of Federal income tax expense). Pursuant to paragraph 
(d)(3)(i) of this section, no adjustment is made for the state income 
tax expense.
    Example 2. Assume the same facts as in Example 1, except that A also 
has a net extraordinary item of $40. Thus, A has net book income of $160 
($120 + $40). The $40 net extraordinary item is composed of a $70 gross 
extraordinary item less $30 of Federal income tax expense. Assuming 
there are no other adjustments to net book income, A's adjusted net book 
income is $250 ($160 of net book income + $60 of Federal income tax 
expense on book income other than the extraordinary item + $30 of 
Federal income tax expense on the extraordinary item).
    Example 3. Assume the same facts as in Example 1, except that in 
calculating A's $120 of net book income, A has $50 of Federal income tax 
expense and $10 of foreign income tax expense. The $10 of foreign income 
tax expense results from a foreign branch and is composed of $7 of 
current foreign income tax expense and $3 of deferred foreign income tax 
expense. A chooses to take the benefits of the foreign tax credit under 
section 901 for the current taxable year. Assuming there are no other 
adjustments to net book income, A's adjusted net book income is $180 
($120 of net book income + $50 of Federal income tax expense + $10 of 
foreign income tax expense).
    Example 4. Assume the same facts as in Example 3, except that A does 
not choose to take the benefits of the foreign tax credit in the current 
taxable year and instead deducts the $7 of current foreign income tax 
paid. Pursuant to paragraph (d)(3)(ii) of this section, net book income 
is not adjusted for the $7 of current foreign income tax expense. 
However, net book income is adjusted for the $3 of deferred foreign 
income tax expense. Thus, assuming there are no other adjustments to net 
book income, D's adjusted net book income is $173 ($120 of net book 
income + $50 of Federal income tax expense + $3 of deferred foreign 
income tax expenses).
    Example 5. In 1987, corporation B only has a financial statement 
described in paragraph (c)(1)(iv) of this section. B elects pursuant to 
paragraph (c)(2) of this section to treat net book income as equal to 
its current earnings and profits. B's current earnings and profits in 
1987 is $60, after reduction for $40 of Federal income tax (see 
paragraph (b)(5)(i) of this section). Pursuant to paragraph (d)(3) of 
this section, B must make a $40 adjustment to net book income. Thus, 
assuming no other adjustments to net book income, B's 1987 adjusted net 
book income is $100 ($60 of net book income + $40 adjustment for Federal 
income taxes).
    Example 6. Corporation A acquires assets from corporation B in a 
transaction where the tax basis of B's assets will carry over to A. For 
financial accounting purposes, A will account for the acquisition in 
accordance with Accounting Principles Board (APB) Opinion No. 16. One of 
the assets acquired from B has an appraised value of $10,000. However, 
because the tax basis of B's assets will carry over to A, A's tax basis 
in the asset is only $7,000. Given these facts, APB Opinion No. 16, 
paragraph 89 requires that the asset be recorded at $10,000 less the tax 
effect of the difference between the appraised value and the tax basis. 
Assuming a 30 percent tax rate for A, the asset would be recorded at 
$9,100 ($10,000 appraised value--($3,000 difference between the 
appraised value and the tax basis x 30 percent)). If A

[[Page 464]]

sells the asset for $10,000, A will recognize a book gain of $900 with 
respect to the sale (assuming the asset is not amortized for book 
purposes). However, A will also have income tax expense of $900 
(($10,000 sales proceeds--$7,000 tax basis) x 30 percent) with respect 
to the sale. Thus, A will have no net book income from the sale. 
Pursuant to paragraph (d)(3)(iii) of this section, A's income tax 
expense includes the $900 of income tax expense attributable to the 
effects of the valuation adjustment made in accordance with APB Opinion 
No. 16, paragraph 89. As a result, A's adjusted net book income with 
respect to its asset sale is $900 ($0 of net book income + $900 
adjustment for income tax expense).

    (4) Adjustments to prevent omission or duplication--(i) In general. 
In order to prevent omissions or duplications, net book income must be 
adjusted for the items described in paragraph (d)(4)(ii) through 
(d)(4)(vii) of this section and for such other items as approved or 
required by the Commissioner in published guidance. Except as provided 
in this paragraph (d), a taxpayer may not adjust net book income to 
prevent omission or duplication of items. See paragraph (d)(4)(viii), 
Example 1 of this section.
    (ii) Special rule for depreciating an asset below its cost. Net book 
income must be adjusted to exclude depreciation or amortization expense 
to the extent such expense exceeds the asset's financial accounting 
historical cost (``excess depreciation''). However, no adjustment is 
required if excess depreciation has been the taxpayer's historic 
practice (as defined in paragraph (d)(2)(i) of this section) or if the 
excess depreciation is properly attributable to negative salvage value 
(i.e., where the cost of removal or clean-up exceeds the salvage value).
    (iii) Consolidated group using current earnings and profits. In the 
case of a consolidated group that uses its aggregate current earnings 
and profits as net book income (as determined under the rules of 
paragraph (b)(5)(ii) of this section), the current earnings and profits 
of the group is the aggregate of the current earnings and profits of 
each member of the group. In determining aggregate current earnings and 
profits, the adjustments described in Sec. 1.1502-33 apply except for 
the adjustment for intercompany distributions with respect to stock and 
obligations or members of the group described in Sec. 1.1502-33(c)(1) 
and the investment adjustment described in Sec. 1.1502-33(c)(4)(ii)(a).
    (iv) Restatement of a prior year's applicable financial statement--
(A) In general. If a taxpayer restates an applicable financial statement 
and as a result, the net book income for a taxable year is restated 
after the last date that the taxpayer could have filed its Federal 
income tax return for such taxable year (if it had obtained an extension 
of time under section 6081 of the Code), net book income for the first 
successor year (as defined in paragraph (d)(4)(iv)(D) of this section) 
must be adjusted by that part of the cumulative effect of the 
restatement on net book income attributable to taxable years beginning 
after 1986. To the extent that the cumulative effect of the restatement 
on net book income includes a tax component, paragraph (d)(3) of this 
section may apply. See paragraph (c)(5)(iii) of this section for rules 
relating to the restatement of an applicable financial statement prior 
to the date the taxpayer's return for the taxable year would be due if 
the time for filing the return is extended.
    (B) Reconciliation of owner's equity in applicable financial 
statements. If--
    (1) The beginning balance of owner's equity on the taxpayer's 
applicable financial statement for the current taxable year is different 
than the ending balance of owner's equity on the taxpayer's applicable 
financial statement for the preceding taxable year, and
    (2) The taxpayer is not otherwise subject to the restatement rules 
in paragraph (d)(4)(iv)(A) of this section,

the taxpayer will be deemed to have restated its applicable financial 
statement for the preceding year and paragraph (d)(4)(iv)(A) of this 
section will apply.
    (C) Use of different priority applicable financial statements in 
consecutive taxable years. If the priority of a taxpayer's applicable 
financial statement (as determined under the rules of paragraph (c)(3) 
of this section) for the current taxable year is different than the 
priority of the taxpayer's applicable financial statement for the 
preceding taxable year, the taxpayer shall be required to adjust net 
book income to the extent required under the rules of

[[Page 465]]

either paragraph (d)(4)(iv) (A) or (B) of this section.
    (D) First successor year defined. The ``first successor year'' is 
the first taxable year for which the taxpayer could have timely filed a 
return if it had obtained an extension of time under section 6081 of the 
Code after the restatement occurs. For example, if a calendar year 
corporation restates and uses its 1987 applicable financial statement 
between September 16, 1988 and September 15, 1989, any adjustment 
resulting from the restatement will be made in the taxpayer's 1988 
Federal income tax return. If the restatement occurs prior to September 
15, 1988, the rules of paragraph (c)(5)(iii) of this section will apply.
    (E) Exceptions. (1) No adjustment is made under paragraph 
(d)(4)(iv)(A) of this section for a restatement prepared in accordance 
with APB Opinion No. 16, paragraph 53, requiring restatements of 
financial statements to reflect the combined operation of corporations 
combined in a pooling transaction.
    (2) In order to prevent duplication of an adjustment, an adjustment 
otherwise required under paragraph (d)(4)(iv)(A) of this section may be 
decreased to take into account an adjustment previously made under the 
disclosure rules described in paragraph (d)(5) of the section. See 
paragraph (d)(4)(viii), Example 3 of this section.
    (v) Adjustment for items previously taxed as subpart F income. Net 
book income does not include any item excluded from regular taxable 
income under section 959 if the item was included in adjusted net book 
income in a prior taxable year under the provisions of paragraph 
(b)(2)(iv) of this section and due to section 951. A taxpayer may not 
adjust net book income under this paragraph (d)(4)(v) to the extent any 
portion of the subpart F income was recognized during taxable years 
beginning before 1987. See Example 5 of paragraph (d)(4)(viii) of this 
section.
    (vi) Adjustment for poolings of interests. In a business combination 
accounted for as a pooling of interests under paragraph 50 of APB 
Opinion 16, net book income does not include the income of a separate 
corporation for that part of the taxable year preceding the combination 
of that corporation with the taxpayer, to the extent the separate 
corporation included this income in its net book income for the taxable 
year preceding the business combination. A taxpayer may not adjust net 
book income under this paragraph (d)(4)(vi) to the extent the separate 
corporation's income is attributable to taxable years beginning before 
1987.
    (vii) Adjustment for certain deferred foreign taxes. In the case of 
deferred foreign taxes that were previously added back to net book 
income in accordance with paragraph (d)(3) of this section, a deduction 
is allowed in computing adjusted net book income for the taxable year in 
which the deferred foreign taxes are deducted under section 164(a). A 
taxpayer may not adjust net book income under this paragraph (d)(4)(vii) 
to the extent the foreign taxes were deferred during taxable years 
beginning before 1987.
    (viii) Examples. The provisions of this paragraph may be illustrated 
by the following examples.

    Example 1. Corporation A uses a calendar year for both financial 
accounting and tax purposes. In 1986, A's financial statement included a 
$100 financial accounting loss for a plant shutdown. A could not deduct 
the loss on its 1986 Federal income tax return. In 1987, A deducts the 
loss from the 1986 plant shutdown in its 1987 Federal income tax return. 
As a result, A's 1987 adjusted net book income exceeds its 1987 pre-
adjustment alternative minimum taxable income by $100 (an amount equal 
to the deduction for the 1986 plant shutdown). Pursuant to paragraph 
(d)(4)(i) of this section, A cannot make an adjustment to net book 
income.
    Example 2. Corporation B uses a calendar year for both financial 
accounting and tax purposes. B issues its calendar year 1987 applicable 
financial statement on March 1, 1988. The applicable financial statement 
reports net book income for the calendar years 1985 through 1987 of $50, 
$70, and $80, respectively. On March 1, 1989 when it issues its calendar 
year 1988 applicable financial statement, B restates its 1985, 1986, and 
1987 applicable financial statements. The restatement results from a 
change in accounting method that is made during calendar year 1988. 
After restatement, B's net book income for 1985, 1986, and 1987 is $60, 
$80, and $90, respectively. Based upon these facts, the cumulative 
effect of the restatement on B's net book income for years prior to 1988 
is $30. However, since $20 of the cumulative effective is attributable 
to years beginning before 1987, B's 1988 net book income is increased by 
only $10

[[Page 466]]

($30-$20). If the cumulative effect includes a tax adjustment, see 
paragraph (d)(3) of this section
    Example 3. Assume the same facts for Corporation B as in Example 2, 
except that B's 1987 net book income of $80 is increased by $10 for 
purposes of B's 1987 Federal income tax return. The $10 adjustment is 
made pursuant to paragraph (d)(5)(iii) of this section relating to 
disclosure in the accountant's opinion. Specifically, the accountant's 
opinion on B's 1987 applicable financial statement disclosed that if D 
had used a certain accounting method, B's 1987 net book income would 
have been $90 rather than $80. The restatement of B's 1987 applicable 
financial statement on March 1, 1988 results entirely from B changing to 
the accounting method referred to in the 1987 accountant's opinion. 
Pursuant to paragraph (d)(4)(iv)(E)(2) of this section, no adjustment is 
made to B's 1988 net book income as a result of the restatement of B's 
1987 applicable financial statement.
    Example 4. Assume the same facts as in Example 1, except that when A 
issues its 1987 applicable financial statement it also restates the net 
book income reported on its 1986 financial statement to exclude the $100 
loss attributable to the plant shutdown. Furthermore, the $100 loss from 
the plant shutdown is included in A's 1987 net book income as reported 
on its 1987 applicable financial statement. Pursuant to paragraph (d)(4) 
of this section, no adjustment is made to A's 1987 net book income as a 
result of the restatement of A's 1986 net book income.
    Example 5. Corporation D is a domestic corporation. D owns ten 
percent of the issued and outstanding stock of corporation F, a foreign 
corporation. D and F file separate financial statements and federal 
income tax returns, both on a calendar-year basis. F is a controlled 
foreign corporation as defined in section 957. In 1987, D includes ten 
percent of F's subpart F income in its income under section 951. F makes 
no actual distributions to D in that year, and D's applicable financial 
statement includes the earnings of F only when actual distributions are 
made. See paragraph (d)(6)(i)(A) of this section. In 1987, D must adjust 
its net book income under paragraph (b)(2)(iv) of this section to 
include ten percent of F's subpart F income. In 1988, F makes an actual 
distribution to D which qualifies for the exclusion of section 959. D 
includes this actual distribution as income on its applicable financial 
statement for 1987. Pursuant to paragraph (d)(4)(v) of this section, D 
must adjust its net book income for 1988 to exclude the actual 
distribution from F.

    (5) Adjustments resulting from disclosure--(i) Adjustment for 
footnote disclosure or other supplementary information--(A) In general. 
Except as described in this paragraph (d)(5)(i), net book income must be 
increased by any amount disclosed in a footnote or other supplementary 
information to the applicable financial statement if the disclosure 
supports a calculation of a net book income amount that would be greater 
than the net book income reported on the taxpayer's applicable financial 
statement. However, net book income will not be increased if the 
disclosure--
    (1) Is specifically authorized by the accounting literature 
described in paragraph (d)(2)(ii) of this section, or
    (2) Is in accordance with the taxpayer's historic practice as 
defined in paragraph (d)(2)(i) of this section.

See paragraph (d)(5)(v), Examples 1 and 2 of this section.
    (B) Disclosures not specifically authorized in the accounting 
literature. The following footnote or other supplementary disclosure 
will not be considered specifically authorized in the accounting 
literature--
    (1) Disclosure of what the taxpayer's net book income would have if 
GAAP had been used in preparing the applicable financial statement 
instead of tax accounting rules (or disclosure of the adjustment 
necessary to determine net book income on a GAAP basis), and
    (2) Disclosure of what the taxpayer's net book income would have 
been if the accrual method had been used in preparing the applicable 
financial statement instead of the cash method (or disclosure of the 
adjustment necessary to determine net book income on the accrual 
method).
    (ii) Equity adjustments--(A) In general. Except as described in this 
paragraph (d)(5)(ii), net book income must be increased by the amount of 
any equity adjustment (as defined in paragraph (d)(5)(ii)(B) of this 
section) included in the applicable financial statement if the equity 
adjustment increases owner's equity as reported on the taxpayer's 
applicable financial statement and the increase is attributable to the 
taxpayer or a member of the taxpayer's consolidated group. However, net 
book income will not be increased if the equity adjustment--
    (1) Is specifically authorized by the accounting literature 
described in paragraph (d)(2)(ii) of this section, or

[[Page 467]]

    (2) Is in accordance with the taxpayer's historic practice as 
defined in paragraph (d)(2)(i) of this section.

See paragraph (d)(5)(v), Examples 3 and 4 of this section.
    (B) Definition of equity adjustment. An equity adjustment is any 
reconciling item between beginning and ending owner's equity as reported 
on the taxpayer's applicable financial statement for the current taxable 
year. However, if properly accounted for, the following reconciling 
items are not considered equity adjustments and do not require 
adjustment under paragraph (d)(5)(ii)(A) of this section--
    (1) Net book income,
    (2) Non-liquidating dividend distributions, and
    (3) Contributions to capital.
    (iii) Amounts disclosed in an accountant's opinion. Net book income 
must be increased by the amount of any item disclosed in the 
accountant's opinion (as described in paragraphs (c)(1)(ii)(C) and 
(c)(1)(ii)(D) of this section) if the disclosure supports a calculation 
of a net book income amount that would be greater than the net book 
income reported on the taxpayer's applicable financial statement. 
However, net book income will not be increased if the disclosure is in 
accordance with the taxpayer's historic practice, as defined in 
paragraph (d)(2)(i) of this section.
    (iv) Accounting method changes that result in cumulative adjustments 
to the current year's applicable financial statement---(A) In general. 
If net book income for the current taxable year includes a cumulative 
adjustment attributable to an accounting method change and the amount of 
the cumulative adjustment may be determined upon review of the 
applicable financial statement (including footnotes) or other 
supplementary disclosure, net book income for the current taxable year 
shall be adjusted to exclude that portion of the cumulative adjustment 
attributable to taxable years beginning before 1987. To the extent the 
cumulative adjustment is reported net of a tax, paragraph (d)(3) of this 
section may apply. See paragraph (d)(5)(V), Example 5 of this section. 
If an accounting method change results in a restatement of an applicable 
financial statement, paragraphs (c)(5)(iii) or (d)(4)(iv)(A) of this 
section may apply.
    (B) Exception. In order to prevent duplication of an adjustment, the 
adjustment required under paragraph (d)(5)(iv)(A) of this section may be 
decreased to take into account any adjustment for the accounting method 
change previously made under the rules described in paragraph (d)(5) of 
this section (relating to adjustments resulting from disclosure).
    (v) Examples. The provisions of this paragraph may be illustrated by 
the following examples.

    Example 1. Corporation A uses a calendar year for both financial 
accounting and tax purposes. For calendar years 1984 through 1986, A 
used the cash method of accounting on its financial statement and 
disclosed in a footnote the net income or loss that would have resulted 
if the accrual method of accounting had been used. A's 1987 net book 
income, as reported on its 1987 applicable financial statement, is $100 
and is calculated on the cash method of accounting. In addition, a 
footnote in A's 1987 applicable financial statement states that A's 1987 
net book income would have been $30 greater had the accrual method of 
accounting been used. Pursuant to paragraph (d)(5)(i)(B)(2) of this 
section, A's 1987 footnote disclosure is not considered specifically 
authorized by the accounting literature. However, since A made such 
disclosure for calendar years 1985 and 1986, the 1987 disclosure is in 
accordance with A's historic practice, as defined in paragraph (d)(2)(i) 
of this section. Since A satisfies the exception described in paragraph 
(d)(5)(i)(A)(2) of this section, no adjustment is made to A's 1987 net 
book income for the footnote disclosure.
    Example 2. Assume the same facts for corporation B as in Example 
(1), except that B's 1985 and 1986 financial statements did not disclose 
the amount of income or loss that would result if the accrual method of 
accounting (rather than the cash method of accounting) were used. Since 
B does not satisfy either of the exceptions described in paragraph 
(d)(5)(i)(A) of this section, B's 1987 adjusted net book income is $130 
($100 of net book income plus $30 adjustment for footnote disclosure).
    Example 3. Corporation C uses a calendar year for both financial 
accounting and tax purposes. C's 1987 net book income, as reported on 
its 1987 applicable financial statement, is $200. However, as 
specifically authorized in FASB Statement of Standards No. 52, C's 1987 
applicable financial statement also includes a $50 equity adjustment (as 
defined in paragraph (d)(5)(ii)(B) of this section) for foreign currency 
translation

[[Page 468]]

gains. Since the equity adjustment is specifically authorized in the 
accounting literature, C satisfies the exception described in paragraph 
(d)(5)(ii)(A)(1) of this section, and no adjustment is made to C's 1987 
net book income for the $50 equity adjustment.
    Example 4. Assume the same facts for coporation D as in Example (3), 
except that D's equity adjustment is for foreign currency transaction 
gains instead of foreign currency translation gains. Pursuant to FASB 
Statement of Financial Accounting Standards No. 52, foreign currency 
transaction gains (as compared with foreign currency translation gains) 
are included in the income statement rather than in equity. In addition, 
in 1985 and 1986, D included foreign currency transaction gains in its 
income statement. Since D does not satisfy either of the exceptions 
described in paragraph (d)(5)(ii)(A) of this section, D's 1987 adjusted 
net book income is $250 ($200 of net book income plus $50 equity 
adjustment).
    Example 5. Corporation E uses a calendar year for both financial 
accounting and tax purposes. E's net book income for 1988 is $100. The 
$100 of net book income includes $30 of financial accounting loss 
attributable to a cumulative adjustment as of January 1, 1988, resulting 
from a change in E's accounting method. The $30 cumulative loss is 
disclosed in E's 1988 applicable financial statement. If E had made the 
accounting method change in calendar year 1987, the cumulative loss as 
of January 1, 1987 would have been $20. Based upon the above facts, E 
must increase net book income by $20 to disregard that portion of the 
cumulative adjustment attributable to years beginning before 1987. Thus, 
assuming no other adjustments to net book income, E's adjusted net book 
income for 1988 is $120 ($100 plus $20).

    (6) Adjustments applicable to related corporations--(i) Consolidated 
returns--(A) In general. Pursuant to paragraphs (a)(3) and (b)(3) of 
this section, the book income adjustment with respect to a consolidated 
group (as described under paragraph (a)(3) of this section) is computed 
based on the consolidated adjusted net book income (as defined in 
paragraph (b)(3)(i) of this section). In the case of any corporation 
that is not included in the consolidated group, consolidated adjusted 
net book income of the consolidated group shall include only the sum of 
the dividends received from such other corporation and other amounts 
includible in gross income under this chapter with respect to the 
earnings of such other corporation. See paragraph (d)(6)(v), Example 4 
of this section.
    (B) Corporations included in the consolidated Federal income tax 
return but excluded from the applicable financial statement--(1) In 
general. Consolidated net book income reported on the applicable 
financial statement (as determined under paragraph (c)(5) of this 
section) shall be adjusted to include net book income attributable to a 
corporation that is included in the consolidated group but is not 
included in the applicable financial statement. Net book income for the 
corporation not included in the applicable financial statement of the 
consolidated group is the net book income reported on such corporation's 
applicable financial statement (determined under the rules of paragraph 
(c) of this section and adjusted under the rules of this paragraph (d)). 
The adjusted net book income of such corporation must be consolidated 
with the adjusted net book income of other members of the consolidated 
group and appropriate adjustments, including consolidating elimination 
entries, must be made.
    (2) Adjustments to net book income for minority interests. 
Consolidated net book income must be adjusted to include income or loss 
allocated to minority interests in members of the consolidated group. 
Failure to include income or loss allocated to minority interests shall 
be treated as an omission of net book income. See paragraph (d)(6)(v), 
Example 1 of this section.
    (3) Corporations included in the consolidated group that are 
accounted for under the equity method of accounting. No adjustment is 
required to consolidated net book income for income or loss of a member 
of the consolidated group that is reported in the applicable financial 
statement under the equity method of accounting (as described in APB 
Opinion No. 18, paragraph (6)). However, consolidated adjusted net book 
income (as defined in paragraph (b)(3)(i) of this section) must include 
100 percent of the net book income attributable to such member. See 
paragraph (d)(6)(i)(B)(2) of this section. For example, if consolidated 
net book income (as defined in paragraph (b)(3)(ii) of this section) 
only includes 85 percent of the equity income attributable to a member 
of the consolidated group, an adjustment will be required to include

[[Page 469]]

the 15 percent of equity income excluded from consolidated net book 
income. In addition, to the extent the equity income reflects an 
adjustment for tax expense or benefit, paragraph (d)(3) may apply. See 
paragraph (d)(6)(v), Examples 2 and 3 of this section.
    (C) Corporations included in the applicable financial statement but 
excluded from the consolidated tax return. Net book income or 
consolidated net book income must be adjusted to eliminate the income or 
loss of a corporation that is included in the applicable financial 
statement, but is not included in the consolidated group. When net book 
income attributable to a corporation that is not a member of the 
consolidated group is removed from the computation of net book income in 
the applicable financial statement, consolidating elimination entries 
attributable to the excluded member must also be removed.
    (ii) Adjustment under the principles of section 482. In order to 
fairly allocate items relating to intercompany transactions between 
corporations that are owned or controlled directly or indirectly by the 
same interests but are not members of a consolidated group, adjustments 
must be made to the net book income reported on the applicable financial 
statement of each corporation under the principles of section 482 and 
the regulations thereunder (relating to allocation of income and 
deductions among related taxpayers). For example, assume corporation A 
owns 100 percent of F, a foreign subsidiary, but A and F are not members 
of a consolidated group. However, A and F prepare a consolidated 
financial statement. In adjusting A's applicable financial statement to 
eliminate the net book income attributable to F, A must apply the 
principles of section 482. If a corporation fails to make appropriate 
adjustments to its applicable financial statement under the rules of 
this paragraph (d)(6)(ii), the District Director may make such 
adjustments under the principles of section 482 and the regulations 
thereunder.
    (iii) Adjustment for dividends received from section 936 
corporations--(A) In general. Any dividend received from a corporation 
eligible for the credit provided by section 936 (relating to the 
possession tax credit) shall be included in adjusted net book income. 
For example, assume corporation A owns 100 percent of B, a section 936 
corporation, and B pays a $100 dividend to A. Furthermore, assume that 
of the $100 dividend, $15 of withholding tax is paid to a possession of 
the United States, so that A only receives $85 from the dividend. Given 
these facts, A's adjusted net book income includes $100 with respect to 
the dividend from B.
    (B) Treatment as foreign taxes. Fifty percent of any withholding tax 
paid to a possession of the United States with respect to dividends 
referred to in paragraph (d)(6)(iii)(A) of this section may be treated 
for purposes of the alternative minimum foreign tax credit as a tax paid 
to a foreign country by the corporation receiving the dividend. However, 
if the aggregate of these dividends exceeds the excess referred to in 
paragraph (a)(1) of this section, the amount treated as a tax paid to 
the foreign country shall not exceed 50 percent of the aggregate amount 
of the tax withheld multiplied by a fraction.
    (1) The numerator of which is the excess referred to in paragraph 
(a)(1) of this section; and
    (2) The denominator numerator of which is the aggregate amount of 
these dividends.
    (C) Treatment of taxes imposed on section 936 corporations. Taxes 
paid by any corporation eligible for the credit provided under section 
936 shall be treated as a withholding tax paid with respect to any 
dividend paid by such corporation, and thus subject to the rules of this 
paragraph (d)(6)(iii), but only to the extent such taxes would be 
treated as paid by the corporation receiving the dividend under rules 
similar to the rules of section 902.
    (iv) Adjustment to net book income on sale of certain investments. 
If a taxpayer accounts for an investment under any method equivalent to 
the equity method of accounting (as described in APB Opinion No. 18, 
paragraph 6) and pursuant to paragraphs (b)(2)(iv) or (d)(6)(i) of this 
section the taxpayer excludes net book income attributable to that 
investment, the taxpayer must adjust its net book income in the year the 
investment is sold (or partially sold). The adjustment equals the amount 
of net

[[Page 470]]

book income previously excluded under paragraphs (b)(2)(iv) or 
(d)(6)(i)(A) of this section). See paragraph (d)(6)(v), Example 4 of 
this section.
    (v) Examples. The provisions of this paragraph may be illustrated by 
the following examples.

    Example 1. Corporation A and its 100 percent owned subsidiary B and 
its 90 percent owned subsidiary C are a consolidated group. A also owns 
100 percent of D, a foreign corporation. ABC's applicable financial 
statement is a certified audited financial statement that includes A, B, 
C and D. The net book income reported on the statement excludes $10 of 
C's net book income that is attributable to the 10 percent minority 
interest in C held outside of the consolidated group. Pursuant to 
paragraph (d)(6)(i)(B)(2) of this section, net book income of the 
consolidated group must be adjusted to include the $10 of net book 
income attributable to the minority interest in C. In addition, pursuant 
to paragraph (d)(6)(i)(C) of this section, net book income shown on the 
applicable financial statement must be adjusted to eliminate the net 
book income attributable to D.
    Example 2. Corporation E owns 100 percent of F, a finance 
subsidiary, and EF are a consolidated group. Since F is a finance 
subsidiary E's applicable financial statement accounts for F under the 
equity method of accounting. F also prepares a separate financial 
statement that is of equal or higher priority than E's applicable 
financial statement. In 1987, E's applicable financial statement 
includes $60 of equity income from F. The $60 of equity income reflects 
a reduction for $40 of Federal income tax expense. Thus, E's equity 
income from F prior to the reduction for Federal income tax expense, is 
$100 ($60 + $40). Since E's applicable financial statement includes E's 
equity income in F, F's separate financial statement is not relevant for 
determining the adjusted net book income of the EF consolidated group. 
However, pursuant to paragraphs (d)(3) and (d)(6)(i)(B)(3) of this 
section, E is required to adjust its equity income in F by the $40 of 
Federal income tax expense attributable to F. Thus, assuming there are 
no other adjustments, E's adjusted net book income with respect to F is 
$100.
    Example 3. The facts are the same as Example (2), except that E 
reports its equity income in F without reduction for F's Federal income 
tax expense. The $40 of Federal income tax expense attributable to F is 
combined with E's Federal income tax expense. Assuming no other 
adjustments, E's adjusted net book income with respect to F is $100. 
Thus, E's adjusted net book income with respect to F will be the same 
regardless of whether E's equity income in F is reported before or after 
taxes.
    Example (4). A, a domestic corporation, uses a calendar year for 
both financial accounting and tax purposes. On January 1, 1987, A 
purchases 100 percent of F, a foreign corporation, for $100. F does not 
file a Federal income tax return and A does not recognize any taxable 
income with respect to F under section 951 (relating to controlled 
foreign corporations). In its applicable financial statement, A accounts 
for its investment in F under the equity method of accounting. Thus, A's 
initial investment in F is $100. During calendar year 1987, F has $50 of 
net book income but makes no dividend payments to A. Under the equity 
method of accounting, A's net book income includes the $50 of net book 
income attributable to A's net book investment in F. Thus, A's 
investment in F is increased to $150. Pursuant to paragraph (d)(6)(i)(C) 
of this section, A's net book income is adjusted to eliminate the $50 of 
net book income attributable to F. On January 1, 1988, A sells F for 
$150. Since A's investment in F under the equity method of accounting is 
$150, A's net book income for 1988 will not include any gain on the sale 
of F. However, pursuant to paragraph (d)(6)(iv), A's 1988 net book 
income must be increased by $50, the amount of net book income 
previously eliminated with respect to A's investment in F. The result 
would be the same if instead of accounting for its investment in F under 
the equity method of accounting, A and F prepare a consolidated 
financial statement.

    (7) Adjustments for foreign taxpayers with a United States trade or 
business--(i) In general. Pursuant to paragraph (b)(6) of this section, 
the book income adjustment with respect to a foreign taxpayer with a 
United States trade or business is computed based on the effectively 
connected net book income of the foreign taxpayer (as defined in 
paragraph (b)(6)(ii) of this section). The net book income amount 
reported on the applicable financial statement of the foreign taxpayer 
(as determined under paragraph (c)(5)(ii) of this section) must be 
adjusted to--
    (A) Include effectively connected net book income attributable to a 
trade or business conducted in the United States by the foreign taxpayer 
that is not reported on the applicable financial statement. Such amounts 
shall be determined from a financial statement (determined under 
paragraph (c) of this section and adjusted under the rules of this 
paragraph (d)) that would have qualified as an applicable financial 
statement of such excluded trade or business or upon effectively 
connected

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earnings and profits (if the rules of section (b)(6)(iii) of this 
section apply), and
    (B) Exclude any amount reported on such applicable financial 
statement that does not qualify as effectively connected net book 
income.

See the example in paragraph (d)(7)(ii) of this section.
    (ii) Example. The provisions of this paragraph may be illustrated by 
the following example.

    Example. Foreign corporation A, a calendar year taxpayer for 
financial accounting and tax purposes, is incorporated in X. A actively 
conducts two real estate businesses, B and C, in the United States. B 
prepares a certified audited financial statement that it provides to its 
United States creditor. C does not prepare a financial statement. The 
certified audited financial statement prepared by B is treated as A's 
applicable financial statement under paragraph (c)(5)(ii) of this 
section. B's certified audited financial statement, in addition to 
amounts related to the conduct of its real estate business, also reports 
income received from its investment in United States securities, 
unrelated to its conduct of business in the United States that does not 
qualify as effectively connected net book income. In order to determine 
A's effectively connected net book income from the net book income 
reported on the applicable financial statement, such statement must be 
adjusted to exclude amounts attributable to the securities. In addition, 
book income or loss attributable to C, to the extent effectively 
connected to its business in the United States, must be included in the 
effectively connected net book income reported on B's financial 
statement. Since C does not have a financial statement, C's effectively 
connected net book income is determined by computing its effectively 
connected earnings and profits under paragraph (b)(6)(iii) of this 
section.

    (8) Adjustment for corporations subject to subchapter F. A 
corporation subject to tax under subchapter F of chapter 1 of the Code 
shall adjust its book income to exclude all items of income, loss or 
expense other than those relating to the calculation of unrelated 
business taxable income for purposes of section 512(a).
    (e) Special rules--(1) Cooperatives. For purposes of computing the 
book income adjustment, net book income of a cooperative to which 
section 1381 applies is reduced by patronage dividends and per-unit 
retain allocations under section 1382(b) that are paid by the 
cooperative to the extent such amounts are deductible for regular income 
tax and general alternative minimum tax purposes under section 1382, and 
not otherwise taken into account in determining adjusted net book 
income.
    (2) Alaska Native Corporations. In computing the net book income of 
an Alaska Native Corporation, cost recovery and depletion are computed 
using the asset basis determined under section 21(c) of the Alaska 
Native Claims Settlement Act (43 U.S.C. 1620(c)). In addition, net book 
income is reduced by expenses payable under either section 7(i) or 
section 7(j) of the Alaska Native Claims Settlement Act (43 U.S.C. 1606 
(i) and (j)) only when deductions for such expenses are allowed for tax 
purposes.
    (3) Insurance companies. In the case of an insurance company whose 
applicable financial statement is a statement describing in paragraph 
(c)(1)(iii) of this section (relating to statements provided to a 
government regulator), net book income for purposes of the book income 
adjustment is the net income or loss from operations, after reduction 
for dividends paid to policyholders, but without reduction for Federal 
income taxes.
    (4) Estimating the book income adjustment for purposes of the 
estimated tax liability. See Sec. 1.6655-7 for special rules for 
estimating the corporate alternative minimum tax book income adjustment 
under the annualization exception.

[T.D. 8307, 55 FR 33676, Aug. 17, 1990]

Regulations Applicable to Taxable Years Beginning in 1969 and Ending in 
                                  1970