[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)(3)-1]

[Page 381-387]
 
                       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)(3)-1  Capital loss carryovers.

    (a) Carryover requirement. (1) Section 381(c)(3) requires the 
acquiring corporation in a transaction to which section 381(a) applies 
to succeed to, and take into account, the capital loss carryovers of the 
distributor or transferor corporation. To determine the amount of these 
carryovers as of the close of the date of distribution or transfer, and 
to integrate them with the capital loss carryovers of the acquiring 
corporation for purposes of determining the taxable income of the 
acquiring corporation for taxable years ending after the date of 
distribution or transfer, it is necessary to apply the provisions of 
section 1212 in accordance with the conditions and limitations of 
section 381(c)(3) and this section.
    (2) The capital loss carryovers of the acquiring corporation as of 
the close of the date of distribution or transfer shall be determined 
without reference to any capital gains or capital losses of the 
distributor or transferor corporation. The capital loss carryovers of a

[[Page 382]]

distributor or transferor corporation as of the close of the date of 
distribution or transfer shall be determined without reference to any 
capital gains or capital losses of the acquiring corporation.
    (3) This section contains rules applicable to capital loss 
carryovers determined without reference to the amendment of section 
1212(a) made by section 7 of the Act of September 2, 1964 (Public Law 
88-571, 78 Stat. 860) in respect of foreign expropriation capital 
losses. If the distributor, transferor, or acquiring corporation 
sustains a net capital loss in a taxable year ending after December 31, 
1958, any portion of which is attributable to a foreign expropriation 
capital loss, such portion shall be carried over to each of the ten 
succeeding taxable years consistently with the rules prescribed in this 
section and paragraph (a)(2) of Sec. 1.1212-1.
    (b) First taxable year to which carryovers apply. (1) The capital 
loss carryovers available to the distributor or transferor corporation 
as of the close of the date of distribution or transfer shall first be 
carried to the first taxable year of the acquiring corporation ending 
after that date. This rule applies irrespective of whether the date of 
distribution or transfer is on the last day, or any other day, of the 
acquiring corporation's taxable year.
    (2) The capital loss carryovers available to the distributor or 
transferor corporation as of the close of the date of distribution or 
transfer shall be carried to the acquiring corporation without 
diminution by reason of the fact that the acquiring corporation does not 
acquire 100 percent of the assets of the distributor or transferor 
corporation.
    (c) Limitation on capital loss carryovers for first taxable year 
ending after date of distribution or transfer. (1) Any capital loss 
carryover of a distributor or transferor corporation which is available 
to the acquiring corporation as of the close of the date of distribution 
or transfer shall be a short-term capital loss of the acquiring 
corporation in each of the taxable years to which the net capital loss 
giving rise to such carryover may be carried to the extent provided in 
section 1212 and this section. However, in the first taxable year of the 
acquiring corporation ending after the date of distribution or transfer, 
the total capital loss carryovers of the distributor or transferor 
corporation which may be treated in that year as short-term capital 
losses of the acquiring corporation is limited by section 381(c)(3)(B) 
to an amount which bears the same ratio to the acquiring corporation's 
capital gain net income (net capital gain for taxable years beginning 
before January 1, 1977) for such first taxable year (determined without 
regard to any capital loss carryovers) as the number of days in such 
first taxable year which follow the date of distribution or transfer 
bears to the total number of days in such taxable year. Thus, if the 
date of distribution or transfer is the last day of the acquiring 
corporation's taxable year, there is no limitation under section 
381(c)(3)(B) on the amount of such carryovers which may be treated as 
short-term capital losses of the acquiring corporation for its first 
taxable year ending after that date.
    (2) The limitation provided by section 381(c)(3)(B) shall be applied 
to the aggregate of the capital loss carryovers of the distributor or 
transferor corporation without reference to the taxable years in which 
the net capital losses giving rise to the carryovers were sustained. If 
the acquiring corporation has acquired the assets of two or more 
distributor or transferor corporations on the same date of distribution 
or transfer, then the limitation provided by section 381(c)(3)(B) shall 
be applied to the aggregate of the capital loss carryovers from all of 
such distributor or transferor corporations.
    (3) If the acquiring corporation succeeds to the capital 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, the limitation to be applied under section 
381(c)(3)(B) to the aggregate of such carryovers shall be determined 
consistently with the rules prescribed in paragraph (b) of Sec. 
1.381(c)(1)-2.
    (4) The application of this paragraph may be illustrated by the 
following example:

    Example. (i) X and Y Corporations are organized on January 1, 1954, 
and make their returns on the basis of the calendar year. On

[[Page 383]]

July 4, 1957, X Corporation transfers all its assets to Y Corporation in 
a statutory merger to which section 361 applies. The net capital losses 
and the net capital gains (capital gain net income for taxable years 
beginning after Dec. 31, 1976), (computed without regard to any capital 
loss carryovers) of the two corporations are as follows:

------------------------------------------------------------------------
                                                     X            Y
                 Taxable year                   Corporation  Corporation
                                               (transferor)   (acquirer)
------------------------------------------------------------------------
1954.........................................     ($5,000)             0
1955.........................................     (10,000)        $5,000
1956.........................................     (25,000)       (7,000)
Ending 7-4-57................................      (8,000)   ...........
1957.........................................  ............       36,500
------------------------------------------------------------------------

    (ii) The capital loss carryovers of X Corporation which are 
available to Y Corporation as of the close of July 4, 1957, amount to 
$48,000 in the aggregate; but only $18,000 ($36,500 x 180/365 ) of such 
amount may be treated as short-term capital losses of Y Corporation for 
1957.

    (d) Computation of carryovers; general rule--(1) Sequence for 
applying losses and determination of capital gain net income. Section 
1212 provides that a net capital loss sustained in any taxable year 
(hereinafter referred to as the ``loss year'') shall be carried over to 
each of the five succeeding taxable years and treated in each of such 
succeeding years as a short-term capital loss to the extent not allowed 
as a deduction against any capital gain net income (net capital gain for 
taxable years beginning before January 1, 1977) of any taxable years 
intervening between the loss year and the taxable year to which such 
loss is carried. For this purpose, the capital gain net income (net 
capital gain for taxable years beginning before January 1, 1977) of any 
intervening taxable year is determined without regard to the net capital 
loss for the loss year or for any taxable year thereafter, and the 
various capital loss carryovers from taxable years preceding the loss 
year to any such intervening taxable year are considered to be applied 
in reduction of the capital gain net income (net capital gain for 
taxable years beginning before January 1, 1977) for such year in the 
order of the taxable years in which the losses were sustained, beginning 
with the loss for the earliest preceding taxable year. The application 
of these rules to the capital gain net income (net capital gain for 
taxable years beginning before January 1, 1977) of the acquiring 
corporation for any taxable year ending after the date of distribution 
or transfer involves the use of carryovers of the distributor or 
transferor corporation and of the acquiring corporation. In determining 
the order in which the capital loss carryovers of the distributor or 
transferor and acquiring corporations from taxable years ending on or 
before the date of distribution or transfer are considered to be applied 
in reduction of the capital gain net income (net capital gain for 
taxable years beginning before January 1, 1977) of the acquiring 
corporation for any intervening taxable year ending after such date, the 
following rules shall apply:
    (i) Each taxable year of the distributor or transferor and acquiring 
corporations which, with respect to the first taxable year of the 
acquiring corporation ending after the date of distribution or transfer, 
constitutes a first preceding taxable year, shall be treated as if each 
such year ended on the same day, whether or not such taxable years 
actually end on the same day. In like manner, each taxable year of the 
distributor or transferor and acquiring corporations which, with respect 
to such first taxable year of the acquiring corporation ending after the 
date of distribution or transfer, constitutes a second preceding taxable 
year, shall be treated as if each such year ended on the same day 
(whether or not such taxable years actually end on the same day), and a 
similar rule shall be applied with respect to those taxable years of the 
distributor or transferor and acquiring corporations which constitute 
third, fourth, and fifth preceding taxable years;
    (ii) If in the same preceding taxable year both the distributor or 
transferor and acquiring corporations incurred a net capital loss which 
is a carryover to an intervening taxable year of the acquiring 
corporation ending after the date of distribution or transfer, then in 
applying such losses in reduction of the capital gain net income (net 
capital gain for taxable years beginning before January 1, 1977) for 
such an intervening year, either such loss may be taken into account 
before the other; and

[[Page 384]]

    (iii) The rules of subdivisions (i) and (ii) of this subparagraph 
shall apply regardless of the number of distributor or transferor 
corporations the assets of which are acquired by the acquiring 
corporation on the same date of distribution or transfer.
    (2) Cross reference. If the date of distribution or transfer is a 
day other than the last day of a taxable year of the acquiring 
corporation, then in determining the capital gain net income (net 
capital gain for taxable years beginning before January 1, 1977) of the 
acquiring corporation for its first taxable year ending after the date 
of distribution or transfer, section 1212 and this paragraph shall be 
applied in the special manner set forth in paragraph (e) of this 
section.
    (3) Years to which losses may be carried. The taxable years to which 
a net capital loss shall be carried are prescribed by section 1212. 
Since the taxable year of a distributor or transferor corporation ends 
with the close of the date of distribution or transfer, such taxable 
year and the first taxable year of the acquiring corporation which ends 
after that date are considered two separate taxable years to which a net 
capital loss of the distributor or transferor corporation for any 
taxable year ending before that date shall be carried. This rule applies 
even though the taxable year of the distributor or transferor 
corporation which ends on the date of distribution or transfer is a 
period of less than twelve months. However, the distribution or transfer 
has no effect in determining under section 1212 the taxable years to 
which a net capital loss of the acquiring corporation is carried. For 
this purpose, the first taxable year of the acquiring corporation which 
ends after the date of distribution or transfer constitutes only one 
taxable year even though such taxable year is considered under paragraph 
(e) of this section as two taxable years for certain purposes. The 
application of this subparagraph may be illustrated by the following 
example:

    Example. R and S Corporations are organized on January 1, 1954, and 
both corporations make their returns on the basis of the calendar year. 
R Corporation has net capital losses for its years 1954, 1955, and 1957, 
and S Corporation has net capital losses for its years 1954 and 1956. On 
June 30, 1958, R Corporation transfers all its assets to S Corporation 
in a statutory merger to which section 361 applies. The taxable years to 
which these losses of R and S Corporations may be carried are as 
follows:

------------------------------------------------------------------------
             Loss year                           Carried to
------------------------------------------------------------------------
R1954.............................  R1955, R1956, R1957, R6/30/58,
                                     S1958.
S1954.............................  S1955, S1956, S1957, S1958, S1959.
R1955.............................  R1956, R1957, R6/30/58, S1958,
                                     S1959.
S1956.............................  S1957, S1958, S1959, S1960, S1961.
R1957.............................  R6/30/58, S1958, S1959, S1960,
                                     S1961.
------------------------------------------------------------------------

    (4) Computation of carryovers in case where date of distribution or 
transfer occurs on last day of acquiring corporation's taxable year. The 
computation of the capital loss carryovers from the distributor or 
transferor corporation and from the acquiring corporation in a case 
where the date of distribution or transfer occurs on the last day of a 
taxable year of the acquiring corporation may be illustrated by the 
following example:

    Example. X and Y Corporations are organized on January 1, 1955, and 
make their returns on the basis of the calendar year. On December 31, 
1956, X Corporation transfers all its assets to Y Corporation in a 
statutory merger to which section 361 applies. The net capital losses 
and the net capital gains (capital gain net income for taxable years 
beginning after December 31, 1976), (computed without regard to any 
capital loss carryovers) of the two corporations are as follows:

------------------------------------------------------------------------
                                                     X            Y
                 Taxable year                   Corporation  Corporation
                                               (transferor)   (acquirer)
------------------------------------------------------------------------
1955.........................................    ($20,000)      ($2,000)
1956.........................................     (10,000)       (8,000)
1957.........................................  ............       25,000
1958.........................................  ............       10,000
------------------------------------------------------------------------


The sequence in which the net capital losses of X and Y Corporations are 
applied, and the computation of the capital loss carryovers to Y 
Corporation's taxable year 1959, may be illustrated as follows. (For 
purposes of this example, the carryover from a preceding taxable year of 
the transferor corporation will be applied before the carryover from the 
same preceding taxable year of the acquiring corporation):
    (i) X Corporation's 1955 loss. The carryover to 1959 is $0, computed 
as follows:

Net capital loss............................................     $20,000
Less: Y's 1957 net capital gain (computed without regard to       25,000
 any capital loss carryovers)...............................
                                                             -----------
  Carryover to Y 1958 and Y 1959............................           0



[[Page 385]]

    (ii)Y Corporation's 1955 loss. The carryover to 1959 is $0, computed 
as follows:

Net capital loss.............................................     $2,000
Less:
  Y's 1957 net capital gain (computed without         $25,000  .........
   regard to any capital loss carryovers)........
  Minus capital loss carryovers to Y 1957 (i.e.,       20,000  .........
   carryover of $20,000 from X 1955).............
                                                  ------------
                                                   ..........      5,000
                                                              ----------
    Carryover to Y 1958 and Y 1959...........................          0


    (iii) X Corporation's 1956 loss. The carryover to 1959 is $0, 
computed as follows:

Net capital loss............................................     $10,000
Less:
  Y's 1957 net capital gain (computed without        $25,000  ..........
   regard to any capital loss carryovers).......
  Minus capital loss carryovers to Y 1957 (i.e.,      22,000  ..........
   carryovers of $20,000 from X 1955 and $2,000
   from Y 1955).................................
                                                 ------------
                                                  ..........       3,000
                                                             -----------
    Carryover to Y 1958.....................................       7,000
Less:
  Y's 1958 net capital gain (computed without        $10,000  ..........
   regard to any capital loss carryovers).......
  Minus capital loss carryovers to Y 1958.......           0  ..........
                                                 ------------
                                                  ..........      10,000
                                                             -----------
    Carryover to Y 1959.....................................           0


    (iv) Y Corporation's 1956 loss. The carryover to 1959 is $5,000, 
computed as follows:

Net capital loss.............................................     $8,000
Less:
  Y's 1957 net capital gain (computed without         $25,000  .........
   regard to any capital loss carryovers)........
  Minus capital loss carryovers to Y 1957 (i.e.,       32,000  .........
   carryovers of $20,000 from X 1955, $2,000 from
   Y 1955, and $10,000 from X 1956)..............
                                                  ------------
                                                   ..........          0
                                                              ----------
    Carryover to Y 1958......................................      8,000
Less:
  Y's 1958 net capital gain (computed without         $10,000  .........
   regard to any capital loss carryovers)........
  Minus capital loss carryovers to Y 1958 (i.e.,        7,000
   carryover of $7,000 from X 1956)..............
                                                  ------------
                                                   ..........      3,000
                                                              ----------
    Carryover to Y 1959......................................      5,000


    (e) Computation of carryovers when date of distribution or transfer 
is not on last day of acquiring corporation's taxable year--(1) General 
rule. If, in determining under paragraph (d) of this section the portion 
of a net capital loss for any taxable year which is carried over to a 
succeeding taxable year, an intervening taxable year is a taxable year 
of the acquiring corporation which includes, but does not end on, the 
date of distribution or transfer, the capital gain net income (net 
capital gain for taxable years beginning before January 1, 1977) of such 
intervening year shall be determined by applying section 1212 in the 
special manner provided by this paragraph.
    (2) Taxable year considered as two taxable years. Such intervening 
taxable year of the acquiring corporation shall be considered as though 
it were two taxable years, but only for the limited purpose of computing 
capital loss carryovers to subsequent taxable years. The first of such 
two taxable years shall be referred to in this paragraph as the 
preacquisition part year; the second, as the postacquisition part year. 
Though considered as two separate taxable years for purposes of this 
paragraph, the preacquisition part year and the postacquisition part 
year are treated as one taxable year in determining the years to which a 
net capital loss is carried under section 1212. See paragraph (d)(3) of 
this section.
    (3) Preacquisition part year. The preacquisition part year shall 
begin with the beginning of such taxable year of the acquiring 
corporation and shall end with the close of the date of distribution or 
transfer.
    (4) Postacquisition part year. The postacquisition part year shall 
begin with the day following the date of distribution or transfer and 
shall end with the close of such taxable year of the acquiring 
corporation.
    (5) Division of capital gain net income. The capital gain net income 
(net capital gain for taxable years beginning before January 1, 1977) 
for such intervening taxable year (computed without regard to any 
capital loss carryovers) of the acquiring corporation shall be divided 
between the preacquisition part year and the postacquisition part year 
in proportion to the number of days in each. Thus, if in a statutory 
merger to which section 361 applies Y Corporation acquires the assets of 
X Corporation on June 30, 1956, and Y Corporation has net capital gain 
(computed in the manner so prescribed) of

[[Page 386]]

$36,600 for its calendar year 1956, then the preacquisition part year 
capital gain net income (net capital gain for taxable years beginning 
before January 1, 1977) would be $18,200 ($36,600x182/366) and the 
postacquisition part year capital gain net income (net capital gain for 
taxable years beginning before January 1, 1977) would be $18,400 
($36,600x184/366).
    (6) Application of capital loss carryovers. After obtaining the 
capital gain net income (net capital gain for taxable years beginning 
before January 1, 1977) of the preacquisition part year and 
postacquisition part year in the manner described in subparagraph (5) of 
this paragraph, it is necessary to determine the capital loss carryovers 
which are taken into account with respect to each such part year. The 
carryovers to be taken into account and the sequence in which such 
carryovers are applied, shall be determined in accordance with paragraph 
(d)(1) of this section but subject to the provisions of this 
subparagraph. With respect to the preacquisition part year, no capital 
loss carryovers of the distributor or transferor corporation shall be 
taken into account; that is, only capital loss carryovers of the 
acquiring corporation shall be taken into account. With respect to the 
postacquisition part year, capital loss carryovers of both the 
distributor or transferor corporation and the acquiring corporation 
shall be taken into account.
    (7) Cross reference. If an intervening taxable year is a taxable 
year of the acquiring corporation during which the acquiring corporation 
succeeds to the capital loss carryovers of two or more distributor or 
transferor corporations on two or more dates of distribution or 
transfer, the capital gain net income (net capital gain for taxable 
years beginning before January 1, 1977) of the acquiring corporation for 
such intervening taxable year shall be determined consistently with the 
rules prescribed in paragraph (c) of Sec. 1.381(c)(1)-2, except that 
the sequence in which the capital loss carryovers of the distributor or 
transferor and acquiring corporations shall be applied shall be 
determined under paragraph (d)(1) of this section.
    (8) Illustration. The application of this paragraph may be 
illustrated as follows:

    Example. X Corporation is organized on April 1, 1959, and makes its 
return on the basis of the fiscal year ending March 31. Y Corporation is 
organized on January 1, 1959, and makes its return on the basis of the 
calendar year. On June 30, 1961, X Corporation transfers all its assets 
to Y Corporation in a statutory merger to which section 361 applies. The 
net capital losses and the net capital gains (capital gain net income 
for taxable years beginning after December 31, 1976) (computed without 
regard to any capital loss carryovers) of the two corporations are as 
follows:

------------------------------------------------------------------------
                                                     X            Y
                 Taxable year                   Corporation  Corporation
                                               (transferor)   (acquirer)
------------------------------------------------------------------------
1959.........................................  ............    ($24,000)
Ending 3-31-60...............................    ($19,000)   ...........
1960.........................................  ............      (6,000)
Ending 3-31-61...............................      (5,000)   ...........
Ending 6-30-61...............................            0   ...........
1961.........................................  ............       36,500
1962.........................................  ............       12,000
------------------------------------------------------------------------


The following table shows those taxable years of the transferor and 
acquiring corporations which, with respect to Y Corporation's calendar 
year 1961, are first, second, and third preceding taxable years:

------------------------------------------------------------------------
                                                                  Y
            Taxable year                  X Corporation      Corporation
                                          (transferor)        (acquirer)
------------------------------------------------------------------------
First preceding year...............  Ending June 30, 1961..        1960
Second preceding year..............  Ending March 31, 1961.        1959
Third preceding year...............  Ending March 31, 1960.  ...........
------------------------------------------------------------------------

The sequence in which the net capital losses of X and Y Corporations are 
applied, and the computation of the capital loss carryovers to Y 
Corporation's calendar year 1963, may be illustrated as follows. (For 
purposes of this example, the carryover from a preceding taxable year of 
the acquiring corporation will be applied before the carryover from the 
same preceding taxable year of the transferor corporation):
    (i) X Corporation's 3/31/60 loss. The carryover to 1963 is $0, 
computed as follows:

Net capital loss............................................     $19,000
Less: Y's postacquisition part year net capital gain              18,400
 computed under subparagraph (5) of this paragraph ($36,500x
 184/365 )..................................................
                                                             -----------
  Carryover to Y 1962.......................................         600
Less: Y's 1962 net capital gain (computed without regard to       12,000
 any capital loss carryovers)...............................
                                                             -----------
  Carryover to Y 1963.......................................           0


    (ii) Y Corporation's 1959 loss. The carryover to 1963 is $0, 
computed as follows:

Net capital loss............................................     $24,000

[[Page 387]]


Less: Y's preacquisition part year net capital gain computed      18,100
 under subparagraph (5) of this paragraph ($36,500x 181/365
 )..........................................................
                                                 -------------
  Carryover to Y's postacquisition part year................       5,900
Less:
  Y's postacquisition part year net capital gain     $18,400  ..........
   computed under subparagraph (5) of this
   paragraph....................................
  Minus capital loss carryovers to                    19,000           0
   postacquisition part year (i.e., carryover of
   $19,000 from X 3/31/60)......................
                                                 -------------
    Carryover to Y 1962.....................................       5,900
Less:
  Y's 1962 net capital gain (computed without        $12,000  ..........
   regard to any capital loss carryovers).......
  Minus capital loss carryovers to Y 1962 (i.e.,         600      11,400
   carryover of $600 from X 3/31/60)............
                                                 -------------
    Carryover to Y 1963.....................................           0


    (iii) X Corporation's 3/31/61 loss. The carryover to 1963 is $0, 
computed as follows:

Net capital loss.............................................     $5,000
Less:
  Y's postacquisition part year net capital gain      $18,400  .........
   computed under subparagraph (5) of this
   paragraph.....................................
  Minus capital loss carryovers to                     24,900
   postacquisition part year (i.e., carryovers of
   $19,000 from X 3/31/60 and $5,900 from Y 1959)
                                                  ------------
                                                   ..........          0
                                                              ----------
    Carryover to Y 1962......................................      5,000
Less:
  Y's 1962 net capital gain (computed without         $12,000  .........
   regard to any capital loss carryovers)........
  Minus capital loss carryovers to Y 1962 (i.e.,        6,500
   carryovers of $600 from X 3/31/60 and $5,900
   from Y 1959)..................................
                                                  ------------
                                                   ..........      5,500
                                                              ----------
    Carryover to Y 1963......................................          0


    (iv) Y Corporation's 1960 loss. The carryover to 1963 is $5,500, 
computed as follows:

Net capital loss.............................................     $6,000
Less:
  Y's preacquisition part year net capital gain       $18,100  .........
   computed under subparagraph (5) of this
   paragraph.....................................
  Minus capital loss carryovers to preacquisition      24,000
   part year (i.e., carryover of $24,000 from Y
   1959).........................................
                                                  ------------
                                                   ..........          0
                                                              ----------
    Carryover to Y's postacquisition part year...............      6,000
Less:
  Y's postacquisition part year net capital gain      $18,400  .........
   computed under subparagraph (5) of this
   paragraph.....................................
  Minus capital loss carryovers to                     29,900          0
   postacquisition part year (i.e., carryovers of
   $19,000 from X 3/31/60, $5,900 from Y 1959,
   and $5,000 from X 3/31/61)....................
                                                              ----------
                                                   ..........          0
                                                              ----------
    Carryover to Y 1962......................................      6,000
Less:
  Y's 1962 net capital gain (computed without         $12,000  .........
   regard to any capital loss carryovers)........
  Minus capital loss carryovers to Y 1962 (i.e.,      11,5000
   carryovers of $600 from X 3/31/60, $5,900 from
   Y 1959, and $5,000 from X 3/31/61)............
                                                  ------------
                                                   ..........       $500
                                                              ----------
    Carryover to Y 1963......................................      5,500


    (f) Successive acquiring corporations. An acquiring corporation 
which, in a transaction to which section 381(a) applies, acquires the 
assets of a distributor or transferor corporation which previously 
acquired the assets of another corporation in a transaction to which 
section 381(a) applies, shall succeed to and take into account, subject 
to the conditions and limitations of sections 1212 and 381, the capital 
loss carryovers available to the first acquiring corporation under 
sections 1212 and 381.

[T.D. 6552, 26 FR 1985, Mar. 8, 1961, as amended by T.D. 6867, 30 FR 
15094, Dec. 12, 1965; T.D. 7728, 45 FR 72650, Nov. 3, 1980]