[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)-2]

[Page 231-232]
 
                       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)-2  Equity options with flexible terms.

    (a) In general. Section 1092(c)(4) provides an exception to the 
general rule that a straddle exists if a taxpayer holds stock and writes 
a call option on that stock. Under section 1092(c)(4), the ownership of 
stock and the issuance of a call option meeting certain requirements 
result in a qualified covered call, which is exempted from the general 
straddle rules of section 1092. This section addresses the consequences 
of the availability of equity options with flexible terms under the 
qualified covered call rules.
    (b) No effect on lowest qualified bench mark for standardized 
options. The availability of strike prices for equity options with 
flexible terms does not affect the determination of the lowest qualified 
bench mark, as defined in section 1092(c)(4)(D), for an equity option 
with standardized terms.
    (c) Qualified covered call option status--(1) Requirements. An 
equity option with flexible terms is a qualified covered call option 
only if--
    (i) The option meets the requirements of section 1092(c)(4)(B) and 
Sec. 1.1092(c)-1 (taking into account paragraph (c)(2) of this 
section);
    (ii) The only payments permitted with respect to the option are a 
single fixed premium paid not later than 5 business days after the day 
on which the option is granted, and a single fixed strike price, as 
defined in Sec. 1.1092(c)-4(d), that is payable entirely at (or within 
5 business days of) exercise;
    (iii) An equity option with standardized terms is outstanding for 
the underlying equity; and
    (iv) The underlying security is stock in a single corporation.
    (2) Lowest qualified bench mark--(i) In general. For purposes of 
determining whether an equity option with flexible terms is deep in the 
money within the meaning of section 1092(c)(4)(C), the lowest qualified 
bench mark under section 1092(c)(4)(D) is the same for an equity option 
with flexible terms as the lowest qualified bench mark for an equity 
option with standardized terms on the same stock having the same 
applicable stock price.
    (ii) Examples. The following examples illustrate the rules set out 
in paragraph (c)(2)(i) of this section:

    Example 1. Taxpayer owns stock in Corporation X. Taxpayer writes an 
equity call option with flexible terms on Corporation X stock through a 
national securities exchange for a term of not more than 12 months. The 
applicable stock price for Corporation X stock is $73.75. Using the 
bench marks for an equity option with standardized terms with an 
applicable stock price of $73.75, the highest available strike price 
less than the applicable stock price is $70, and the second highest 
strike price less than the applicable stock price is $65. Therefore, an 
equity call option with flexible terms on Corporation X stock with a 
term of 90 days or less will not be deep in the money if the strike 
price is not less than $70. If the term is greater than 90 days, an 
equity call option with flexible terms on Corporation X will not be deep 
in the money if the strike price is not less than $65.
    Example 2. Taxpayer owns stock in Corporation Y. Taxpayer writes a 
9-month equity call option with flexible terms on Corporation Y stock 
through a national securities exchange. The applicable stock price for 
Corporation Y stock is $14.75. Using the bench marks for an equity 
option with standardized terms with an applicable stock price of $14.75, 
the highest available strike price less than the applicable stock price 
is $12.50. However, under 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 $12.54. Thus, because the highest available 
strike price less than the 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

[[Page 232]]

can be written is the next higher strike price, or $15.00. This $15.00 
strike price requirement for a qualified covered call option applies to 
equity options with flexible terms, equity options with standardized 
terms, and qualifying over-the-counter options.
    Example 3. Taxpayer owns stock in Corporation Z. On May 8, 2003, 
Taxpayer writes a 21-month equity call option with flexible terms on 
Corporation Z stock through a national securities exchange. The 
applicable stock price for Corporation Z 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. 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 flexible 
terms on Corporation Z stock will not be deep in the money if the strike 
price is not less than $105.

    (d) Effective date--(1) In general. Except as provided in paragraph 
(d)(2) of this section, this section applies to equity options with 
flexible terms entered into on or after January 25, 2000.
    (2) Effective date for paragraphs (b) and (c) of this section. 
Paragraphs (b) and (c) of this section apply to equity options with 
flexible terms entered into on or after July 29, 2002.

[T.D. 8866, 65 FR 3813, Jan. 25, 2000; Redesignated at 67 FR 20899, Apr. 
29, 2002]