[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: 26CFR1.1244(b)-1]

[Page 336-337]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.1244(b)-1  Annual limitation.

    (a) In general. Subsection (b) of section 1244 imposes a limitation 
on the aggregate amount of loss that for any taxable year may be treated 
as an ordinary loss by a taxpayer by reason of that section. In the case 
of a partnership, the limitation is determined separately as to each 
partner. Any amount of loss in excess of the applicable limitation is 
treated as loss from the sale or exchange of a capital asset.
    (b) Amount of loss--(1) Taxable years beginning after December 31, 
1978. For any taxable year beginning after December 31, 1978, the 
maximum amount that may be treated as an ordinary loss under section 
1244 is:
    (i) $50,000, or
    (ii) $100,000, if a husband and wife file a joint return under 
section 6013.

These limitations on the maximum amount of ordinary loss apply whether 
the loss or losses are sustained on pre-November 1978 stock (as defined 
in Sec. 1.1244 (c)-1 (a)(1)), post-November 1978 stock (as defined in 
Sec. 1.1244 (c)-1 (a)(2)), or on any combination of pre-November 1978 
stock and post-November 1978 stock. The limitation referred to in (ii) 
applies to a joint return whether the loss or losses are sustained by 
one or both spouses.
    (2) Taxable years ending before November 6, 1978. For any taxable 
year ending before November 6, 1978, the maximum amount that may be 
treated as an ordinary loss under section 1244 is:
    (i) $25,000 or
    (ii) $50,000, if a husband and wife file a joint return under 
section 6013.

The limitation referred to in (ii) applies to a joint return whether the 
loss or losses are sustained by one or both spouses.
    (3) Taxable years including November 6, 1978. For a taxable year 
including November 6, 1978, the maximum amount that may be treated as 
ordinary loss under section 1244 is the sum of:
    (i) The amount calculated by applying the limitations described in 
subparagraph (1) of this paragraph (b) to the amount of loss, if any, 
sustained during the taxable year on post-November 1978 stock, plus
    (ii) The amount calculated by applying the limitations described in 
subparagraph (2) of this paragraph (b) to the amount of loss, if any, 
sustained during the taxable year on pre-November 1978 stock,


To the extent this sum does not exceed $50,000, or, if a husband and 
wife file a joint return under section 6013 for the taxable year, 
$100,000.
    (4) Examples. The provisions of this section may be illustrated by 
the following examples:

    Example 1. A, a married taxpayer who files a joint return for the 
taxable year ending December 31, 1977, sustains a $50,000 loss 
qualifying under section 1244 on pre-November 1978 stock in Corporation 
X and an equal amount of loss qualifying under section 1244 on pre-
November 1978 stock in Corporation Y. A is limited to $50,000 of 
ordinary loss under paragraph (b)(2)(ii). The remaining $50,000 of loss 
is treated as loss from the sale or exchange of a capital asset.
    Example 2. For the taxable year ending December 31, 1979, B, a 
married taxpayer who files a joint return, sustains a $90,000 loss on 
post-November 1978 stock in Corporation X.

[[Page 337]]

In the same taxable year, C, B's spouse, sustains a $25,000 loss on 
post-November 1978 stock in Corporation Y. Both losses qualify under 
section 1244. B and C's ordinary loss is limited to $100,000 under 
paragraph (b)(1)(ii). The remaining $15,000 of loss is treated as loss 
from the sale or exchange of a capital asset.
    Example 3. D, a married taxpayer who files a joint return and 
reports income on a fiscal year basis for the taxable year ending 
November 30, 1978, sustains a $60,000 loss qualifying under section 1244 
on pre-November 1978 stock and a $40,000 loss qualifying under section 
1244 on post-November 1978 stock. D's ordinary loss on pre-November 1978 
stock is limited to $50,000 under subparagraph (3)(ii) of this paragraph 
(b). D's $40,000 loss on post-November 1978 stock is within the limit of 
subparagraph (3)(i) of this paragraph (b). The total of these losses, 
$90,000, is the aggregate amount deductible by D as ordinary loss under 
section 1244. The remaining $10,000 of loss is treated as loss from the 
sale or exchange of a capital asset.
    Example 4. E, a married taxpayer who files a joint return for the 
taxable year ending December 31, 1980, sustains a $75,000 loss 
qualifying under section 1244 on pre-November 1978 stock and a $10,000 
loss qualifying under section 1244 on post-November 1978 stock. E may 
deduct the total of these losses, $85,000, as ordinary loss under 
paragraph (b)(1)(ii).
    Example 5. Assume the same facts as in the preceding example, except 
that the losses are sustained in the taxable year beginning January 1, 
1978, and ending December 31, 1978. E is limited to $60,000 of ordinary 
loss ($50,000 on pre-November 1978 stock plus $10,000 on post-November 
1978 stock) under paragraph (b)(3). The remaining $25,000 of loss is 
treated as loss from the sale or exchange of a capital asset.
    Example 6. F, a married taxpayer who files a joint return for the 
taxable year beginning January 1, 1978, and ending December 31, 1978, 
sustains a $75,000 loss qualifying under section 1244 on pre-November 
1978 stock and a $125,000 loss qualifying under section 1244 on post-
November 1978 stock. F's loss on pre-November 1978 stock is limited to 
$50,000 of ordinary loss under subparagraph (3)(ii) of this paragraph 
(b). F's loss on post-November 1978 stock is limited to $100,000 of 
ordinary loss under subparagraph (3)(i) of this paragraph (b). The total 
of these losses, $150,000, is limited to $100,000 of ordinary loss under 
paragraph (b)(3). F's aggregate amount of ordinary loss under section 
1244 is $100,000. The remaining $100,000 of loss is treated as loss from 
the sale or exchange of a capital asset.

[T.D. 7779, 46 FR 29467, June 2, 1981]