[Code of Federal Regulations]
[Title 26, Volume 11]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.1092(b)-1T]

[Page 208-213]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.1092(b)-1T  Coordination of loss deferral rules and wash sale 
rules (temporary).

    (a) In general. Except as otherwise provided, in the case of the 
disposition of a position or positions of a straddle, the rules of 
paragraph (a)(1) of this section apply before the application of the 
rules of paragraph (a)(2) of this section.
    (1) Any loss sustained from the disposition of shares of stock or 
securities that constitute positions of a straddle shall not be taken 
into account for purposes of this subtitle if, within a period beginning 
30 days before the date of such disposition and ending 30 days after 
such date, the taxpayer has acquired (by purchase or by an exchange on 
which the entire amount of gain or loss was recognized by law), or has 
entered into a contract or option so to acquire, substantially identical 
stock or securities.
    (2) Except as otherwise provided, if a taxpayer disposes of less 
than all of the positions of a straddle, any loss sustained with respect 
to the disposition of that position or positions (hereinafter referred 
to as loss position) shall not be taken into account for purposes of 
this subtitle to the extent that the amount of unrecognized gain as of 
the close of the taxable year in one or more of the following 
positions--
    (i) Successor positions,
    (ii) Offsetting positions to the loss position, or
    (iii) Offsetting positions to any successor position,

exceeds the amount of loss disallowed under paragraph (a)(1) of this 
section. See Sec. 1.1092(b)-5T relating to definitions.
    (b) Carryover of disallowed loss. Any loss that is disallowed under 
paragraph (a) of this section shall, subject to any further application 
of paragraph (a)(1) of this section and the limitations under paragraph 
(a)(2) of this section, be treated as sustained in the succeeding 
taxable year. However, a loss disallowed in Year 1, for example, under 
paragraph (a)(1) of this section

[[Page 209]]

will not be allowed in Year 2 unless the substantially identical stock 
or securities, the acquisition of which caused the loss to be disallowed 
in Year 1, are disposed of during Year 2 and paragraphs (a)(1) and 
(a)(2) of this section do not apply in Year 2 to disallow the loss.
    (c) Treatment of disallowed loss--(1) Character. If the disposition 
of a loss position would (but for the application of this section) 
result in a capital loss, the loss allowed under paragraph (b) of this 
section with respect to the disposition of the loss position shall be 
treated as a capital loss. In any other case, a loss allowed under 
paragraph (b) of this section shall be treated as an ordinary loss. For 
example, if the disposition of a loss position would, but for the 
application of paragraph (a) of this section, give rise to a capital 
loss, that loss when allowed pursuant to paragraph (b) of this section 
will be treated as a capital loss on the date the loss is allowed 
regardless of whether any gain or loss with respect to one or more 
successor positions would be treated as ordinary income or loss.
    (2) Section 1256 contracts. If the disposition of a loss position 
would (but for the application of this section) result in 60 percent 
long-term capital loss and 40 percent short-term capital loss, the loss 
allowed under paragraph (b) of this section with respect to the 
disposition of the loss position shall be treated as 60 percent long-
term capital loss and 40 percent short-term capital loss regardless of 
whether any gain or loss with respect to one or more successor positions 
would be treated as 100 percent long-term or short-term capital gain or 
loss.
    (d) Exceptions. (1) This section shall not apply to losses 
sustained--
    (i) With respect to the disposition of one or more positions that 
constitute part of a hedging transaction;
    (ii) With respect to the disposition of a loss position included in 
a mixed straddle account (as defined in paragraph (b) of Sec. 
1.1092(b)-4T); and
    (iii) With respect to the disposition of a position that is part of 
a straddle consisting only of section 1256 contracts.
    (2) Paragraph (a)(1) of this section shall not apply to losses 
sustained by a dealer in stock or securities if such losses are 
sustained in a transaction made in the ordinary course of such business.
    (e) Coordination with section 1091. Section 1092(b) applies in lieu 
of section 1091 to losses sustained from the disposition of positions in 
a straddle. See example (18) of paragraph (g) of this section.
    (f) Effective date. The provisions of this section apply to 
dispositions of loss positions on or after January 24, 1985.
    (g) Examples. This section may be illustrated by the following 
examples. It is assumed in each example that the following positions are 
the only positions held directly or indirectly (through a related person 
or flowthrough entity) by an individual calendar year taxpayer during 
the taxable year and none of the exceptions contained in paragraph (d) 
of this section apply.

    Example 1. On December 1, 1985, A enters into offsetting long and 
short positions. On December 10, 1985, A disposes of the short position 
at an $11 loss, at which time there is $5 of unrealized gain in the 
offsetting long position. At year-end there is still $5 of unrecognized 
gain in the offsetting long position. Under these circumstances, $5 of 
the $11 loss will be disallowed for 1985 because there is $5 of 
unrecognized gain in the offsetting long position; the remaining $6 of 
loss, however, will be taken into account in 1985.
    Example 2. Assume the facts are the same as in example (1), except 
that at year-end there is $11 of unrecognized gain in the offsetting 
long position. Under these circumstances, the entire $11 loss will be 
disallowed for 1985 because there is $11 of unrecognized gain at year-
end in the offsetting long position.
    Example 3. Assume the facts are the same as in example (1), except 
that at year-end there is no unrecognized gain in the offsetting long 
position. Under these circumstances, the entire $11 loss will be allowed 
for 1985.
    Example 4. On November 1, 1985, A enters into offsetting long and 
short positions. On November 10, 1985, A disposes of the long position 
at a $10 loss, at which time there is $10 of unrealized gain in the 
short position. On November 11, 1985, A enters into a new long position 
(successor position) that is offsetting with respect to the retained 
short position but is not substantially identical to the long position 
disposed of on November 10, 1985. A holds both positions through year-

[[Page 210]]

end, at which time there is $10 of unrecognized gain in the successor 
long position and no unrecognized gain in the offsetting short position. 
Under these circumstances, the entire $10 loss will be disallowed for 
1985 because there is $10 of unrecognized gain in the successor long 
position.
    Example 5. Assume the facts are the same as in example (4), except 
that at year-end there is $4 of unrecognized gain in the successor long 
position and $6 of unrecognized gain in the offsetting short position. 
Under these circumstances, the entire $10 loss will be disallowed for 
1985 because there is a total of $10 of unrecognized gain in both the 
successor long position and offsetting short position.
    Example 6. Assume the facts are the same as in example (4), except 
that at year-end A disposes of the offsetting short position at a $2 
loss. Under these circumstances, $10 of the total $12 loss will be 
disallowed because there is $10 of unrecognized gain in the successor 
long position.
    Example 7. Assume the facts are the same as in example (4), and on 
January 10, 1986, A disposes of the successor long position at no gain 
or loss. A holds the offsetting short position until year-end, at which 
time there is $10 of unrecognized gain. Under these circumstances, the 
$10 loss will be disallowed for 1986 because there is $10 of 
unrecognized gain in an offsetting position at year-end.
    Example 8. Assume the facts are the same as in example (4), except 
at year-end there is $8 of unrecognized gain in the successor long 
position and $8 of unrecognized loss in the offsetting short position. 
Under these circumstances, $8 of the total $10 realized loss will be 
disallowed because there is $8 of unrecognized gain in the successor 
long position.
    Example 9. On October 1, 1985, A enters into offsetting long and 
short positions. Neither the long nor the short position is stock or 
securities. On October 2, 1985, A disposes of the short position at a 
$10 loss and the long position at a $10 gain. On October 3, 1985, A 
enters into a long position identical to the original long position. At 
year-end there is $10 of unrecognized gain in the second long position. 
Under these circumstances, the $10 loss is allowed because the second 
long position is not a successor position or offsetting position to the 
short loss position.
    Example 10. On November 1, 1985, A enters into offsetting long and 
short positions. On November 10, 1985, there is $20 of unrealized gain 
in the long position and A disposes of the short position at a $20 loss. 
By November 15, 1985, the value of the long position has declined 
eliminating all unrealized gain in the position. On November 15, 1985, A 
establishes a second short position (successor position) that is 
offsetting with respect to the long position but is not substantially 
identical to the short position disposed of on November 10, 1985. At 
year-end there is no unrecognized gain in the offsetting long position 
or in the successor short position. Under these circumstances, the $20 
loss sustained with respect to the short loss position will be allowed 
for 1985 because at year-end there is no unrecognized gain in the 
successor short position or the offsetting long position.
    Example 11. Assume the facts are the same as in example (10), except 
that the second short position was established on November 8, 1985, and 
there is $20 of unrecognized gain in the second short position at year-
end. Since the second short position was entered into within 30 days 
before the disposition of the loss position, the second short position 
is considered a successor position to the loss position. Under these 
circumstances, the $20 loss will be disallowed because there is $20 of 
unrecognized gain in a successor position.
    Example 12. Assume the facts are the same as in example (10), except 
that at year-end there is $18 of unrecognized gain in the offsetting 
long position and $18 of unrecognized gain in the successor short 
position. Under these circumstances, the entire loss will be disallowed 
because there is more than $20 of unrecognized gain in both the 
successor short position and offsetting long position.
    Example 13. Assume the facts are the same as in example (10), except 
that there is $20 of unrecognized gain in the successor short position 
and no unrecognized gain in the offsetting long position at year-end. 
Under these circumstances, the entire $20 loss will be disallowed 
because there is $20 of unrecognized gain in the successor short 
position.
    Example 14. On January 2, 1986, A enters into offsetting long and 
short positions. Neither the long nor the short position is stock or 
securities. On March 3, 1986, A disposes of the long position at a $10 
gain. On March 10, 1986, A disposes of the short position at a $10 loss. 
On March 14, 1986, A enters into a new short position. On April 10, 
1986, A enters into an offsetting long position. A holds both positions 
to year-end, at which time there is $10 of unrecognized gain in the 
offsetting long position and no unrecognized gain or loss in the short 
position. Under these circumstances, the $10 loss will be allowed 
because (1) the rules of paragraph (a)(1) of this section are not 
applicable; and (2) the rules of paragraph (a)(2) of this section do not 
apply, since all positions of the straddle that contained the loss 
position were disposed of.
    Example 15. On December 1, 1985, A enters into offsetting long and 
short positions. On December 4, 1985, A disposes of the short position 
at a $10 loss. On December 5, 1985, A establishes a new short position 
that is offsetting to the long position, but is not substantially 
identical to the short position disposed of on December 4, 1985. On 
December 6, 1985, A disposes of the long position at a $10 gain. On 
December 7, 1985, A enters into a second long position that is 
offsetting to the

[[Page 211]]

new short position, but is not substantially identical to the long 
position disposed of on December 6, 1985. A holds both positions to 
year-end at which time there is no unrecognized gain in the second short 
position and $10 of unrecognized gain in the offsetting long position. 
Under these circumstances, the entire $10 loss will be disallowed for 
the 1985 taxable year because the second long position is an offsetting 
position with respect to the second short position which is a successor 
position.
    Example 16. On September 1, 1985, A enters into offsetting positions 
consisting of a long section 1256 contract and short non-section 1256 
position. No elections under sections 1256(d)(1) or 1092(b)(2)(A), 
relating to mixed straddles, are made. On November 1, 1985, at which 
time there is $20 of unrecognized gain in the short non-section 1256 
position, A disposes of the long section 1256 contract at a $20 loss and 
on the same day acquires a long non-section 1256 position (successor 
position) that is offsetting with respect to the short non-section 1256 
position. But for the application of this section, A's disposition of 
the section 1256 contract would give rise to a capital loss. At year-end 
there is a $20 of unrecognized gain in the offsetting short non-section 
1256 position and no unrecognized gain in the successor long position. 
Under these circumstances, the entire $20 loss will be disallowed for 
1985 because there is $20 unrecognized gain in the offsetting short 
position. In 1986, A disposes of the successor long non-section 1256 
position and there is no unrecognized gain at year-end in the offsetting 
short position. Under these circumstances, the $20 loss disallowed in 
1985 with respect to the section 1256 contract will be treated in 1986 
as 60 percent long-term capital loss and 40 percent short-term capital 
loss.
    Example 17. On January 2, 1986, A, not a dealer in stock or 
securities, acquires stock in X Corporation (X stock) and an offsetting 
put option. On March 3, 1986, A disposes of the X stock at a $10 loss. 
On March 10, 1986, A disposes of the put option at a $10 gain. On March 
14, 1986, A acquires new X stock that is substantially identical to the 
X stock disposed of on March 3, 1986. A holds the X stock to year-end. 
Under these circumstances, the $10 loss will be disallowed for 1986 
under paragraph (a)(1) of this section because A, within a period 
beginning 30 days before March 3, 1986 and ending 30 days after such 
date, acquired stock substantially identical to the X stock disposed of.
    Example 18. On June 2, 1986, A, not a dealer in stock or securities, 
acquires stock in X Corporation (X stock). On September 2, 1986, A 
disposes of the X stock at a $100 loss. On September 15, 1986, A 
acquires new X stock that is substantially identical to the X stock 
disposed of on September 2, 1986, and an offsetting put option. A holds 
these straddle positions to year-end. Under these circumstances, section 
1091, rather than section 1092(b), will apply to disallow the $100 loss 
for 1986 because the loss was not sustained from the disposition of a 
position that was part of a straddle. See paragraph (e) of this section.
    Example 19. On November 1, 1985, A, not a dealer in stock or 
securities, acquires stock in Y Corporation (Y stock) and an offsetting 
put option. On November 12, 1985, there is $20 of unrealized gain in the 
put option and A disposes of the Y stock at a $20 loss. By November 15, 
1985, the value of the put option has declined eliminating all 
unrealized gain in the position. On November 15, 1985, A acquires a 
second Y stock position that is substantially identical to the Y stock 
disposed of on November 12, 1985. At year-end there is no unrecognized 
gain in the put option or the Y stock. Under these circumstances, the 
$20 loss will be disallowed for 1985 under paragraph (a)(1) of this 
section because A, within a period beginning 30 days before November 12, 
1985 and ending 30 days after such date, acquired stock substantially 
identical to the Y stock disposed of.
    Example 20. Assume the facts are the same as in Example 19 and that 
on December 31, 1986, A disposes of the put option at a $40 gain and 
there is $20 of unrecognized loss in the Y stock. Under these 
circumstances, the $20 loss which was disallowed in 1985 also will be 
disallowed for 1986 under the rules of paragraph (a)(1) of this section 
because A has not disposed of the stock substantially identical to the Y 
stock disposed of on November 12, 1985.
    Example 21. Assume the facts are the same as in example (19), except 
that on December 31, 1986, A disposes of the Y stock at a $20 loss and 
there is $40 of unrecognized gain in the put option. Under these 
circumstances, A will not recognize in 1986 either the $20 loss 
disallowed in 1985 or the $20 loss sustained with respect to the 
December 31, 1986 disposition of Y stock. Paragraph (a)(1) of this 
section does not apply to disallow the losses in 1986 since the 
substantially identical Y stock was disposed of during the year (and no 
substantially identical stock or securities was acquired by A within the 
61 day period). However, paragraph (a)(2) of this section applies to 
disallow for 1986 the $40 of losses sustained with respect to the 
dispositions of positions in the straddle because there is $40 of 
unrecognized gain in the put option, an offsetting position to the loss 
positions.
    Example 22. On January 2, 1986, A, not a dealer in stock or 
securities, acquires stock in X Corporation (X stock) and an offsetting 
put option. On March 3, 1986, A disposes of the X stock at a $10 loss. 
On March 17, 1986, A acquires new X stock that is substantially 
identical to the X stock disposed of on March 3, 1986. On December 31, 
1986, A disposes of the X stock at a $5 gain, at which time there is $5 
of unrecognized gain in the put option.

[[Page 212]]

Under these circumstances, the $10 loss sustained with respect to the 
March 3, 1986, disposition of X stock will be allowed under paragraph 
(a) (1) of this section since the substantially identical X stock 
acquired on March 17, 1986, was disposed of by year-end (and no 
substantially identical stock or securities were acquired by A within 
the 61 day period). However, $5 of the $10 loss will be disallowed under 
paragraph (a)(2) of this section because there is $5 of unrecognized 
gain in the put option, an offsetting position to the loss position.
    Example 23. Assume the facts are the same as in example (22), except 
that on December 31, 1986, A disposes of the offsetting put option at a 
$5 loss and there is $5 of unrecognized gain in the X stock acquired on 
March 17, 1986. Under these circumstances, the $10 loss sustained with 
respect to the X stock disposed of on March 3, 1986, will be disallowed 
for 1986 under paragraph (a)(1) of this section. The $5 loss sustained 
upon the disposition of the put option will be allowed because (1) the 
rules of paragraph (a)(1) of this section are not applicable; and (2) 
the rules of paragraph (a)(2) of this section allow the loss, since the 
unrecognized gain in the X stock ($5) is not in excess of the loss ($10) 
disallowed under paragraph (a)(1) of this section.
    Example 24. On January 2, 1986, A, not a dealer in stock or 
securities, acquires 200 shares of Z Corporation stock (Z stock) and 2 
put options on Z stock (giving A the right to sell 200 shares of Z 
stock). On September 2, 1986, there is $200 of unrealized gain in the 
put option positions and A disposes of the 200 shares of Z stock at a 
$200 loss. On September 10, 1986, A acquires 100 shares of Z stock 
(substantially identical to the Z stock disposed of on September 2, 
1986), and a call option that is offsetting to the put options on Z 
stock and that is not an option to acquire property substantially 
identical to the Z stock disposed of on September 2, 1986. At year-end, 
there is $80 of unrecognized gain in the Z stock position, $80 of 
unrecognized gain in the call option position, and no unrecognized gain 
or loss in the offsetting put option positions. Under these 
circumstances, $40 of the $200 loss sustained with respect to the 
September 2, 1986 disposition of Z stock will be recognized by A in 1986 
under paragraph (a) of this section, as set forth below. Paragraph 
(a)(1) of this section applies first to disallow $100 of the loss (\1/2\ 
of the loss), since 100 shares of substantially identical Z stock (\1/2\ 
of the stock) were acquired within the 61 day period. Paragraph (a)(2) 
of this section then applies to disallow that portion of the loss 
allowed under paragraph (a)(1) of this section ($200-$100=$100) equal to 
the excess of the total unrecognized gain in the Z stock and call option 
positions (successor positions to the loss position) ($80+$80=$160) over 
the $100 loss disallowed under paragraph (a)(1) of this section ($160-
$100=$60; $100-$60=$40).
    Example 25. Assume the facts are the same as in example (24), except 
that at year-end there is $110 of unrecognized gain in the Z stock 
position, $78 of unrecognized gain in the call option position, and $10 
of unrecognized gain in the offsetting put option positions. Under these 
circumstances, $2 of the $200 loss sustained with respect to the 
September 2, 1986 disposition of Z stock will be allowed in 1986 under 
paragraph (a) of this section, as set forth below. Paragraph (a)(1) of 
this section applies first to disallow $100 of the loss (\1/2\ of the 
loss) since 100 shares of substantially identical Z stock (\1/2\ of the 
stock) were acquired within the 61 day period. Paragraph (a)(2) of this 
section then applies to disallow that portion of the loss allowed under 
paragraph (a)(1) of this section ($200-$100=$100) equal to the excess of 
the total unrecognized gain in the Z stock and call option positions 
(successor positions to the loss position) and the put option positions 
(offsetting positions to the loss position) ($110+$78+$10=$198) over the 
$100 loss disallowed under paragraph (a)(1) of this section ($198-
$100=$98; $100-$98=$2).
    Example 26. Assume the facts are the same as in example (24), except 
that at year-end there is $120 of unrecognized gain in the Z stock 
position, $88 of unrecognized gain in the call option position, and $10 
of unrecognized loss in one of the offsetting put option positions. At 
year-end A disposes of the other put option position at a $10 loss. 
Under these circumstances, $2 of the $210 loss sustained with respect to 
the September 2, 1986 disposition of Z stock ($200) and the year-end 
disposition of a put option ($10) will be allowed in 1986 under 
paragraph (a) of this section, as set forth below. Paragraph (a)(1) of 
this section applies first to disallow $100 of the loss from the 
disposition of Z stock (\1/2\ of the loss), since 100 shares of 
substantially identical Z stock (\1/2\ of the stock) were acquired 
within the 61 day period. Paragraph (a)(2) of this section then applies 
to disallow that portion of the loss allowed under paragraph (a)(1) of 
this section ($210-$100=$110) equal to the excess of the total 
unrecognized gain in the Z stock and call option positions (successor 
positions to the Z stock loss position, and offsetting positions to the 
put option loss position) ($120+$88=$208) over the $100 loss disallowed 
under paragraph (a)(1) of this section ($208-$100=$108; $110-$108=$2).
    Example 27. On January 27, 1986, A enters into offsetting long (L1) 
and short (S1) positions. Neither L1 nor S1 nor any other positions 
entered into by A in 1986 are stock or securities. On February 3, 1986, 
A disposes of L1 at a $10 loss. On February 5, 1986, A enters into a new 
long position (L2) that is offsetting to S1. On October 15, 1986, A 
disposes of

[[Page 213]]

S1 at an $11 loss. On October 17, 1986, A enters into a new short 
position (S2) that is offsetting to L2. On December 30, 1986, A disposes 
of L2 at a $12 loss. On December 31, 1986, A enters into a new long 
position (L3) that is offsetting to S2. At year-end, S2 has an 
unrecognized gain of $33. Paragraph (a)(1) of this section does not 
apply since none of the positions were shares of stock or securities. 
However, all $33 ($10+$11+$12) of the losses sustained with respect to 
L1, S1 and L2 will be disallowed under paragraph (a)(2) because there is 
$33 of unrecognized gain in S2 at year-end. The $10 loss from the 
disposition of L1 is disallowed because S2 is or was an offsetting 
position to a successor long position (L2 or L3). The $11 loss from the 
disposition of S1 is disallowed because S2 is a successor position to 
S1. The $12 loss from the disposition of L2 is disallowed because S2 was 
an offsetting position to L2.

(Secs. 1092(b) and 7805 of the Internal Revenue Code of 1954 (68A Stat. 
917, 95 Stat. 324, 26 U.S.C. 1092(b), 7805) and sec. 102(h) of the Tax 
Reform Act of 1984 (98 Stat. 625))

[T.D. 8007, 50 FR 3319, Jan. 24, 1985, as amended by T.D. 8070, 51 FR 
1786, Jan. 15, 1986; 51 FR 3773, Jan. 30, 1986; 51 FR 5516, Feb. 14, 
1986]