[Code of Federal Regulations]
[Title 26, Volume 4]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.381(c)(1)-2]

[Page 371-375]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.381(c)(1)-2  Net operating loss carryovers; two or more dates 
of distribution or transfer in the taxable year.

    (a) In general. If the acquiring corporation succeeds to the net 
operating loss carryovers of two or more distributor or transferor 
corporations on two or more dates of distribution or transfer within one 
taxable year of the acquiring corporation, the limitation to be applied 
under section 381(c)(1)(B) to the aggregate of the net operating loss 
carryovers to that taxable year from all of the distributor or 
transferor corporations shall be determined by applying the rules 
prescribed in paragraph (b) of this section, and the taxable income of 
the acquiring corporation for that taxable year under sections 
381(c)(1)(C) and 172(b)(2) shall be determined by applying the rules 
prescribed in paragraph (c) of this section. For purposes of this 
section, the term postacquisition income means postacquisition part year 
taxable income determined under paragraph (d)(1) of Sec. 1.381(c)(1)-1 
by treating the first date of distribution or transfer as though it were 
the only date of distribution or transfer during the taxable year of the 
acquiring corporation.

[[Page 372]]

    (b) Determination of limitation under section 381(c)(1)(B)--(1) In 
general. If the acquiring corporation succeeds to the net operating loss 
carryovers of two or more distributor or transferor corporations on two 
or more dates of distribution or transfer during the same taxable year 
of the acquiring corporation, and if the amount of the net operating 
loss carryovers acquired on the first date of distribution or transfer 
equals or exceeds the postacquisition income, then the limitation under 
section 381(c)(1)(B) shall be an amount equal to such postacquisition 
income. If the amount of the net operating loss carryovers acquired on 
the first date of distribution or transfer is less than such 
postacquisition income, then the limitation under section 381(c)(1)(B) 
shall be determined as provided in subparagraphs (2) through (5) of this 
paragraph.
    (2) Allocation of postacquisition income among partial 
postacquisition years. That part of the taxable year of the acquiring 
corporation beginning on the day following the first date of 
distribution or transfer and ending with the close of the taxable year 
of the acquiring corporation shall be divided into the same number of 
partial postacquisition years as the number of dates of distribution or 
transfer on which the acquiring corporation succeeds to net operating 
loss carryovers during its taxable year. The first partial 
postacquisition year shall begin with the day following the first date 
of distribution or transfer and shall end with the close of the second 
date of distribution or transfer. The second and succeeding partial 
postacquisition years shall begin with the day following the close of 
the preceding such partial year and shall end with the close of the 
succeeding date of distribution or transfer, or, if there is no such 
succeeding date, then with the close of the taxable year of the 
acquiring corporation. The postacquisition income of the acquiring 
corporation shall be allocated among the partial postacquisition years 
in proportion to the number of days in each such partial year.
    (3) Two dates of distribution or transfer. If the acquiring 
corporation succeeds to the net operating loss carryovers of two 
distributor or transferor corporations on two dates of distribution or 
transfer during the same taxable year of the acquiring corporation, and 
if the amount of the net operating loss carryovers acquired on the first 
date equals or exceeds the income for the first partial postacquisition 
year, the limitation provided by section 381(c)(1)(B) shall be the 
amount of the postacquisition income. If the income for the first 
partial postacquisition year exceeds the net operating loss carryovers 
acquired on the first date of distribution or transfer, the limitation 
provided by section 381(c)(1)(B) shall be the amount of the 
postacquisition income reduced by the amount of such excess. The 
application of this subparagraph may be illustrated by the following 
example:

    Example. (i) X Corporation has taxable income (computed without any 
net operating loss deduction) of $36,500 for its calendar year 1955. 
During 1955, X Corporation acquires the assets of Y and Z Corporations 
in statutory mergers to each of which section 361 applies, the dates of 
transfer being January 1 and December 1, respectively. The net operating 
loss carryovers of each transferor corporation and the income for each 
partial postacquisition year are:

----------------------------------------------------------------------------------------------------------------
                    Corp.                      Carryovers           Income for partial years           Reduction
----------------------------------------------------------------------------------------------------------------
Y............................................      $1,000  $33,400 ($36,500x334/365)                     $32,400
Z............................................      50,000   3,000 ($36,500x30/365)                             0
                                              -------------
                                                   51,000  36,400                                         32,400
----------------------------------------------------------------------------------------------------------------

    (ii) The limitation provided by section 381(c)(1)(B) equals the 
postacquisition income of $36,400 reduced by $32,400, the excess of the 
income for the first partial year ($33,400) over the net operating loss 
carryovers acquired on the first date of transfer ($1,000). Accordingly, 
the limitation is $4,000 ($36,400 minus $32,400). Therefore, although X 
Corporation acquired carryovers aggregating $51,000 during 1955, it can 
utilize only $4,000 of such carryovers in computing its net operating 
loss deduction for 1955.

    (4) Three dates of distribution or transfer. If the acquiring 
corporation succeeds to the net operating loss carryovers of three 
distributor or transferor corporations on three dates of distribution or 
transfer during the same taxable year of the acquiring corporation, and 
if the amount of the net operating loss carryovers acquired on the first 
date equals or exceeds the income for the first and second partial

[[Page 373]]

postacquisition years, the limitation provided by section 381(c)(1)(B) 
shall be the amount of the postacquisition income. If the amount of the 
carryovers acquired on the first date equals or exceeds the income for 
the first partial postacquisition year but does not equal or exceed the 
income for the first and second partial postacquisition years, the 
limitation shall be the amount of the postacquisition income reduced by 
the excess of the income for the first and second partial 
postacquisition years over the amount of carryovers acquired on the 
first and second dates of distribution or transfer. If the income for 
the first partial postacquisition year exceeds the carryovers acquired 
on the first date, the limitation shall be the postacquisition income 
reduced by the sum of the amount of such excess plus the amount, if any, 
by which the income for the second partial postacquisition year exceeds 
the carryovers acquired on the second date. This subparagraph may be 
illustrated by the following examples:

    Example (1). (i) X Corporation has taxable income (computed without 
any net operating loss deduction) of $36,500 for its calendar year 1955. 
During 1955, X Corporation acquires the assets of M, N, and Z 
Corporations in statutory mergers to each of which section 361 applies, 
the dates of transfer being January 1, January 31, and December 1, 
respectively. The net operating loss carryovers of each transferor 
corporation and the income for each partial postacquisition year are:

----------------------------------------------------------------------------------------------------------------
                    Corp.                      Carryovers           Income for partial years           Reduction
----------------------------------------------------------------------------------------------------------------
M............................................      $4,000  $3,000 ($36,500x 30/365)                      $23,400
N............................................       6,000  30,400 ($36,500x304/365)
Z............................................      50,000   3,000 ($36,500x 30/365)                            0
                                              -------------
                                                   60,000  36,400                                         23,400
----------------------------------------------------------------------------------------------------------------

    (ii) Since the carryovers of $4,000 acquired on the first date of 
transfer exceed the income for the first partial year ($3,000), the 
limitation provided by section 381(c)(1)(B) is the amount of the 
postacquisition income ($36,400) reduced by the excess of the income for 
the first and second partial years ($33,400) over the carryovers 
acquired on the first and second dates of transfer ($10,000). Therefore, 
the limitation is $13,000 ($36,400 less $23,400).
    Example (2). (i) Assume the same facts as in Example (1) except that 
the amount of the net operating loss carryovers acquired from M 
Corporation is $1,000. The net operating loss carryovers of each 
transferor corporation and the income for each partial postacquisition 
year are:

----------------------------------------------------------------------------------------------------------------
                    Corp.                      Carryovers           Income for partial years           Reduction
----------------------------------------------------------------------------------------------------------------
M............................................      $1,000  $3,000 ($36,500x30/365)                        $2,000
N............................................       6,000  30,400 ($36,500x304/365)                       24,400
Z............................................      50,000   3,000 ($36,500x30/365)                             0
                                              -------------
                                                   57,000  36,400                                         26,400
----------------------------------------------------------------------------------------------------------------

    (ii) Since the income for the first partial year ($3,000) exceeds 
the $1,000 of carryovers acquired on the first date by $2,000, the 
limitation provided by section 381(c)(1)(B) is the postacquisition 
income of $36,400 reduced by such excess and also reduced by the excess 
of the income for the second partial year ($30,400) over the carryovers 
acquired on the second date of transfer ($6,000). Therefore, the 
limitation is $10,000 ($36,400 less the sum of $2,000 and $24,400).
    Example (3). (i) Assume the same facts as in Example (2) except that 
the carryovers acquired from N Corporation are $75,000. The net 
operating loss carryovers of each transferor corporation and the income 
for each partial postacquisition year are:

----------------------------------------------------------------------------------------------------------------
                    Corp.                      Carryovers           Income for partial years           Reduction
----------------------------------------------------------------------------------------------------------------
M............................................      $1,000  $3,000 ($36,500x 30/365)                       $2,000
N............................................      75,000  30,400 ($36,500x304/365)                            0
Z............................................      50,000   3,000 ($36,500x 30/365)                            0
                                              -------------
                                                  126,000  36,400                                          2,000
----------------------------------------------------------------------------------------------------------------

    (ii) Since the income for the first partial year ($3,000) exceeds 
the $1,000 of carryovers acquired on the first date by $2,000, the 
limitation provided by section 381(c)(1)(B) is the postacquisition 
income of $36,400 reduced by $2,000, or $34,400. No further reduction is 
made since the income for the second partial year ($30,400) does not 
exceed the carryovers of $75,000 acquired on the second date of 
transfer.

    (5) Four or more dates of distribution or transfer. If the acquiring 
corporation succeeds to the net operating loss carryovers of four or 
more distributor or transferor corporations on four or more dates of 
distribution or transfer during the same taxable year of the acquiring 
corporation, the limitation provided by section 381(c)(1)(B) shall be 
determined consistently with the methods prescribed in subparagraphs (3) 
and (4) of this paragraph. The application of this subparagraph may be 
illustrated by the following example:

    Example. (i) X Corporation has taxable income (computed without any 
net operating loss deduction) of $36,500 for its calendar

[[Page 374]]

year 1955. During 1955, X Corporation acquired the assets of M, N, O, Y, 
and Z Corporations in statutory mergers to each of which section 361 
applied, the dates of transfer being, respectively, January 1, January 
31, March 3, April 2, and December 1. The net operating loss carryovers 
of each transferor corporation and the income for each partial 
postacquisition year are:

----------------------------------------------------------------------------------------------------------------
                    Corp.                      Carryovers           Income for partial years           Reduction
----------------------------------------------------------------------------------------------------------------
M............................................      $1,000  $3,000 ($36,500x 30/365)                       $2,000
N............................................       4,000   3,100 ($36,500x 31/365)                    .........
O............................................       1,000   3,000 ($36,500x 30/365)                        1,100
Y............................................      10,000  24,300 ($36,500x243/365)                       14,300
Z............................................      20,000   3,000 ($36,500x 30/365)                            0
                                              -------------
                                                   36,000  36,400                                         17,400
----------------------------------------------------------------------------------------------------------------

    (ii) The limitation provided by section 381(c)(1)(B) equals the 
postacquisition income of $36,400 reduced by the sum of (a) the $2,000 
excess of the income for the first partial year ($3,000) over the 
carryovers acquired from M Corporation ($1,000), (b) the $1,100 excess 
of the income for the second and third partial years ($6,100) over the 
carryovers acquired from N and O Corporations ($5,000), and (c) the 
$14,300 excess of the income for the fourth partial year ($24,300) over 
the carryovers acquired from Y Corporation ($10,000). Accordingly, the 
limitation is $19,000 ($36,400 minus $17,400). Therefore, although X 
Corporation acquired carryovers aggregating $36,000 during 1955, it can 
utilize only $19,000 of such carryovers in computing its net operating 
loss deduction for 1955.

    (c) Determination of taxable income of acquiring corporation under 
section 381(c)(1)(C)--(1) In general. If the acquiring corporation 
succeeds to the net operating loss carryovers of two or more distributor 
or transferor corporations on two or more dates of distribution or 
transfer within one taxable year of the acquiring corporation, then 
pursuant to section 381(c)(1)(C) the taxable income of the acquiring 
corporation for its taxable year which is a prior taxable year for 
purposes of section 172(b)(2) and paragraph (e) of Sec. 1.381(c)(1)-1 
shall be determined as provided in this paragraph.
    (2) Division of taxable income. The taxable income of the acquiring 
corporation (computed with the modifications specified in section 
172(b)(2)(A) but without any net operating loss deduction) shall be 
allocated proportionately on a daily basis among a preacquisition part 
year (determined under paragraph (f)(3) of Sec. 1.381(c)(1)-1 by 
treating the first date of distribution or transfer as though it were 
the only date of distribution or transfer during the taxable year of the 
acquiring corporation) and two or more partial postacquisition years 
(determined as provided in paragraph (b)(2) of this section). The 
preacquisition part year and each partial postacquisition year shall be 
considered a separate taxable year, but only for the limited purpose of 
applying sections 172(b)(2) and 381(c)(1)(C).
    (3) Net operating loss deduction. The net operating loss deduction 
of the preacquisition part year and the partial postacquisition years 
shall be determined consistently with the manner described in paragraph 
(f)(6) of Sec. 1.381(c)(1)-1 but by taking into account, in the case of 
any partial postacquisition year, only the net operating loss carryovers 
and carrybacks of the acquiring corporation and those net operating loss 
carryovers from a distributor or transferor corporation which become 
available to the acquiring corporation as of the close of those dates of 
distribution or transfer which occur before the beginning of that 
specific partial postacquisition year. The sequence in which the net 
operating losses of the distributor or transferor and acquiring 
corporations shall be applied for this purpose shall be determined in 
the manner described in paragraph (e) of Sec. 1.381(c)(1)-1. Subject to 
the preceding sentence, the net operating loss carryovers to any 
specific partial postacquisition year, whether from a distributor, 
transferor, or acquiring corporation, shall be taken into account in the 
order of the taxable years in which the net operating losses arose, 
beginning with the loss for the earliest taxable year.
    (4) Illustration. The application of this paragraph may be 
illustrated by the following example:

    Example-- (i) Facts. X Corporation, which was organized on January 
1, 1957, sustained a net operating loss of $20,000 for its calendar year 
1957 and had taxable income (computed without any net operating loss 
deduction) of $36,500 for its calendar year 1958. During 1958, X 
Corporation acquired the assets of Y and Z Corporations in statutory 
mergers to each of which section 361 applied, the dates of transfer 
being June 30 and September 30, respectively. None of the modifications 
specified in

[[Page 375]]

section 172(b)(2)(A) apply to any of the corporations for any taxable 
year. The taxable income (computed without any net operating loss 
deduction) and net operating losses of Y and Z Corporations (which were 
organized on January 1, 1957, and January 1, 1954, respectively) are set 
forth below:

------------------------------------------------------------------------
                                    Acquiring    Transferor   Transferor
           Taxable year            corporation  corporation  corporation
                                        X            Y            Z
------------------------------------------------------------------------
1954.............................         xxx          xxx     ($30,000)
1955.............................         xxx          xxx         1,000
1956.............................         xxx          xxx         1,000
1957.............................   ($20,000)    ($25,000)         1,000
Ending 6-30-58...................         xxx        1,000           xxx
Ending 9-30-58...................         xxx          xxx         1,000
1958.............................      36,500          xxx           xxx
------------------------------------------------------------------------


The sequence in which the losses of the acquiring corporation and the 
transferor corporations are applied and the computation of the 
carryovers to X Corporation's calendar year 1959 are illustrated in the 
following subdivisions of this example.
    (ii) Computation of taxable income. X Corporation's taxable income, 
determined in the manner described in subparagraph (2) of this 
paragraph, for the preacquisition part year and for the partial 
postacquisition years is as follows:

------------------------------------------------------------------------
                                            Taxable
                  Year                      income        Computation
------------------------------------------------------------------------
Preacquisition part year................     $18,100     $36,500x181/365
Partial No. 1...........................       9,200       36,500x92/365
Partial No. 2...........................       9,200       36,500x92/365
------------------------------------------------------------------------

    (iii) Z Corporation's 1954 loss. The carryover to 1959 is $0, 
computed as follows:

Net operating loss.........................................      $30,000
Less:
  Z's 1955, 1956, 1957, and 9/30/58-3 year income..........        4,000
                                                            ------------
Net operating loss carryover to Partial No. 2 year.........       26,000
Less:
  Partial No. 2 year taxable income........................        9,200
                                                            ------------
                                                                  16,800
------------------------------------------------------------------------

The balance of $16,800 is not carried over to 1959 since X Corporation's 
taxable year 1958 is the last of the five years to which Z's 1954 loss 
may be carried under section 172(b)(1).

    (iv) Y Corporation's 1957 loss. The carryover to 1959 is $14,800, 
computed as follows:

Net operating loss...........................................    $25,000
Less:
  Y's 6/30/58-year income....................................      1,000
                                                   ------------
Net operating loss carryover to Partial No. 1 year...........     24,000
Less:
  Partial No. 1 year taxable income..........................      9,200
                                                   ------------
    Carryover to Partial No. 2 year..........................     14,800
Less:
  X's Partial No. 2 year taxable income...........     $9,200  .........
  Minus X's net operating loss deduction for           26,000  .........
   Partial No. 2 year (i.e., Z's 1954 carryover of
   $26,000 to such partial year)..................
                                                   -----------
                                                    .........          0
                                                              ----------
    Carryover to 1959........................................     14,800


    (v) X Corporation's 1957 loss. The carryover to 1959 is $1,900, 
computed as follows:

Net operating loss...........................................    $20,000
Less:
  X's preacquisition part year taxable income................     18,100
                                                   ------------
    Carryover to Partial No. 1 year..........................      1,900
Less:
  Partial No. 1 year taxable income...............     $9,200
  Minus X's net operating loss deduction for           24,000  .........
   Partial No. 1 year (i.e., Y's 1957 carryover of
   $24,000 to such partial year)..................
                                                   -----------
                                                    .........          0
                                                              ----------
    Carryover to Partial No. 2 year..........................      1,900
Less:
  Partial No. 2 year taxable income...............     $9,200
  Minus X's net operating loss deduction for           40,800  .........
   Partial No. 2 year (i.e., Z's 1954 carryover of
   $26,000, and Y's 1957 carryover of $14,800, to
   such partial year..............................
                                                   -----------
                                                    .........          0
                                                              ----------
    Carryover to 1959........................................     $1,900


    (vi) Summary of carryovers to 1959. The aggregate of the net 
operating loss carryovers to 1959 is $16,700, computed as follows:

Z's 1954 loss...............................................         xxx
Y's 1957 loss...............................................     $14,800
X's 1957 loss...............................................      91,900
                                                             -----------
 Total......................................................      16,700