[Code of Federal Regulations]
[Title 26, Volume 12]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.1502-99]

[Page 541-542]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.1502-99  Effective dates.

    (a) In general. Except as provided in paragraphs (b) and (c) of this 
section, Sec. Sec. 1.1502-91 through 1.1502-96 and Sec. 1.1502-98 
apply to any testing date on or after June 25, 1999. Sections 1.1502-94 
through 1.1502-96 also apply to a corporation that becomes a member of a 
group or ceases to be a member of a group (or loss subgroup) on any date 
on or after June 25, 1999.

[[Page 542]]

    (b) Special rules--(1) Election to treat subgroup parent requirement 
as satisfied. Section 1.1502-91(d)(4), Sec. 1.1502-91(d)(7), Example 4, 
Sec. 1.1502-92(b)(1)(iii), Sec. 1.1502-92(b)(2), Example 5, the last 
two sentences of Sec. 1.1502-95(b)(3), Sec. 1.1502-95(d)(2)(i), and 
Sec. 1.1502-96(e)(all of which relate to the election under Sec. 
1.1502-91(d)(4) to treat the loss subgroup parent requirement as 
satisfied) apply to corporations that become members of a consolidated 
group in taxable years for which the due date of the income tax return 
(without extensions) is after June 25, 1999.
    (2) Principal purpose of avoiding a limitation. The third sentence 
of Sec. 1.1502-91(d)(5) (relating to members excluded from a loss 
subgroup) applies to corporations that become members of a consolidated 
group on or after June 25, 1999.
    (3) Ceasing to be a member of a loss subgroup--(i) Ownership change 
of a loss subgroup. Section 1.1502-95(d)(2)(ii) and Sec. 1.1502-
95(d)(3), Example 3 apply to corporations that cease to bear a 
relationship described in section 1504(a)(1) to a loss subgroup parent 
in taxable years for which the due date of the income tax return 
(without extensions) is after June 25, 1999.
    (ii) Expiration of 5-year period. Section 1.1502-95(d)(2)(iii) 
applies with respect to the day after the last day of any 5 consecutive 
year period described in that section that ends in a taxable year for 
which the due date of the income tax return (without extensions) is 
after June 25, 1999.
    (4) Reattribution of net operating loss carryovers under Sec. 
1.1502-20(g). Section 1.1502-96(d) applies to reattributions of net 
operating loss carryovers (or capital loss carryovers) in taxable years 
for which the due date of the income tax return (without extensions) is 
after June 25, 1999; except that the election under Sec. 1.1502-
96(d)(5) (relating to an election to reattribute section 382 limitation) 
can be made with any election under Sec. 1.1502-20(g)(4) to reattribute 
to the common parent a net operating loss or net capital loss that is 
timely filed on or after June 25, 1999.
    (5) Election to apportion net unrealized built-in gain. In the case 
of corporations that cease to be members of a loss group (or loss 
subgroup) before June 25, 1999 in a taxable year for which the due date 
of the income tax return (without extensions) is after June 25, 1999, 
Sec. 1.1502-95(a), (b), (c), and (f) apply to those corporations if the 
common parent makes the election described in the second sentence of 
paragraph (c)(1) of Sec. 1.1502-95 in the time and manner prescribed in 
paragraph (f) of Sec. 1.1502-95.
    (c) Testing period may include a period beginning before June 25, 
1999--
    (1) In general. A testing period for purposes of Sec. Sec. 1.1502-
91 through 1.1502-96 and 1.1502-98 may include a period beginning before 
June 25, 1999. Thus, for example, in applying Sec. 1.1502-
92(b)(1)(i)(relating to the determination of an ownership change of a 
loss group), the determination of the lowest percentage of ownership 
interest of any 5-percent shareholder of the common parent during a 
testing period ending on a testing date occurring on or after June 25, 
1999 takes into account the period beginning before June 25, 1999, 
except to the extent that the period is more than 3 years before the 
testing date or is otherwise before the beginning of the testing period. 
See Sec. 1.1502-92(b)(1).
    (2) Transition rule for net unrealized built-in loss. A loss group 
(or loss subgroup) that has a net unrealized built-in loss on a testing 
date on or after June 25, 1999 may apply Sec. 1.1502-91A(g) (and Sec. 
1.1502-96A(a) as it relates to Sec. 1.1502-91A(g)) for the period 
ending on the day before June 25, 1999 to determine under Sec. 1.382-
2T(d)(ii)(A) the earliest date that its testing period begins (treating 
the day before June 25, 1999 as the end of a taxable year.) Thus, for 
example, if a consolidated group with no net operating losses has a net 
unrealized built-in loss determined under Sec. 1.1502-91(g) on a 
testing date after June 25, 1999, but, under Sec. 1.1502-91A(g), does 
not have a net unrealized built-in loss for the period ending on the day 
before June 25, 1999, the group's testing period begins no earlier than 
June 25, 1999.

[T.D. 8824, 64 FR 36174, July 2, 1999]