[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(c)-1]

[Page 230-231]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.1092(c)-1  Qualified covered calls.

    (a) In general. Section 1092(c) defines a straddle as offsetting 
positions with respect to personal property. Under section 
1092(d)(3)(B)(i)(I), stock is personal property if the stock is part of 
a straddle that involves an option on that stock or substantially 
identical stock or securities. Under section 1092(c)(4), however, 
writing a qualified covered call option and owning the optioned stock is 
not treated as a straddle under section 1092 if certain conditions, 
described in section 1092(c)(4)(B), are satisfied. Section 1092(c)(4)(H) 
authorizes the Secretary to modify these conditions to carry out the 
purposes of section 1092(c)(4) in light of changes in the marketplace.
    (b) Term limitation--(1) General rule. Except as provided in 
paragraph (b)(2) of this section, an option is not a qualified covered 
call unless it is granted not more than 12 months before the day on 
which the option expires or satisfies term limitation and qualified 
benchmark requirements established by the Commissioner in guidance 
published in the Internal Revenue Bulletin (see Sec. 
601.601(d)(2)(ii)(b) of this chapter).
    (2) Special benchmark rule for an option granted not more than 33 
months before the day on which the option expires--(i) In general. The 
12-month limitation described in paragraph (b)(1) of this section is 
extended to 33 months provided the lowest qualified benchmark is 
determined using the adjusted applicable stock price, as defined in 
Sec. 1.1092(c)-4(e).
    (ii) Examples. The following examples illustrate the rules set out 
in paragraph (b)(2)(i) of this section:

    Example 1. Taxpayer owns stock in Corporation X. Taxpayer writes an 
equity option with standardized terms on Corporation X stock through a 
national securities exchange with a term of 21 months. The applicable 
stock price for Corporation X stock is $100. The bench marks for a 21-
month equity option with standardized terms with an applicable stock 
price of $100 will be based upon the adjusted applicable stock price. 
Using the table at Sec. 1.1092(c)-4(e), the applicable stock price of 
$100 is multiplied by the adjustment factor 1.12, resulting in an 
adjusted applicable stock price of $112. Using the bench marks for an 
equity option with standardized terms with an adjusted applicable stock 
price of $112, the highest available strike price less than the adjusted 
applicable stock price is $110, and the second highest strike price less 
than the adjusted applicable stock price is $105. Therefore, a 21-month 
equity call option with standardized terms on Corporation X stock will 
not be deep in the money if the strike price is not less than $105.
    Example 2. Taxpayer owns stock in Corporation Y. Taxpayer writes an 
equity option with standardized terms on Corporation Y stock through a 
national securities exchange with a term of 21 months. The applicable 
stock price for Corporation Y stock is $13.25. The bench marks for a 21-
month equity option with standardized terms with an applicable stock 
price of $13.25 will be based upon the adjusted applicable stock price. 
Using the table at Sec. 1.1092(c)-4(e), the applicable stock price of 
$13.25 is multiplied by the adjustment factor 1.12, resulting in an 
adjusted applicable stock price of $14.84. Using the bench marks for an 
equity option with standardized terms with an adjusted applicable stock 
price of $14.84, the highest available strike price less than the 
adjusted applicable stock price is $12.50. However, under

[[Page 231]]

section 1092(c)(4)(D), the lowest qualified bench mark can be no lower 
than 85% of the applicable stock price, which for Corporation Y stock is 
$12.61 (85% of the adjusted applicable stock price of $14.84). Thus, 
because the highest available strike price less than the adjusted 
applicable stock price for an equity option with standardized terms is 
lower than the lowest qualified bench mark under section 1092(c)(4)(D), 
the lowest strike price at which a qualified covered call option can be 
written is the next higher strike price, or $15.00. Therefore, a 21-
month equity call option with standardized terms on Corporation Y stock 
will not be deep in the money if the strike price is not less than $15.

    (c) Effective date. This section applies to qualified covered call 
options entered into on or after July 29, 2002.

[67 FR 20899, Apr. 29, 2002]