[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: 26CFR1.382-10T]

[Page 522-523]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.382-10T  Special rules of determining time and maner of acquisition 
of an interest in a loss corporation (temporary).

    (a) Distributions from qualified trusts--(1) In general. For 
purposes of Sec. 1.382-2T, if a qualified trust described in section 
401(a) (qualified trust) distributes an ownership interest in an entity 
(as defined in Sec. 1.382-3(a)(1)), then for testing dates on or after 
the date of the distribution, the distributed ownership interest is 
treated as having been acquired by the distributee on the date and in 
the manner acquired by the trust and not as having been acquired or 
disposed of by the trust. The distribution does not cause the day of the 
distribution to be a testing date.
    (2) Accounting for dispositions--(i) General rule. For purposes of 
this paragraph (a), in order to determine which ownership interest in an 
entity is distributed from a qualified trust, a loss corporation must 
either specifically identify the ownership interests that are the 
subject of all dispositions by the qualified trust of ownership 
interests in an entity, or apply the first-in, first-out (FIFO) method 
to all such dispositions.
    (ii) Special rules. For purposes of this paragraph (a)(2):
    (A) The FIFO method must be applied on a class-by-class basis; and
    (B) The term dispositions includes distributions, sales, and other 
transfers.
    (3) Examples. The following examples illustrate the principles of 
this paragraph (a). For purposes of these examples, unless otherwise 
stated, the nomenclature and assumptions of the examples in Sec. 1.382-
2T(b) apply, all corporations file separate income tax returns on a 
calendar year basis, the only 5-percent shareholder of a loss 
corporation is a public group, and the facts set forth the only 
acquisitions of stock by any participants in a qualified plan and the 
only owner shifts with respect to the loss corporation during the 
testing period. The examples are as follows:

    Example 1. (i) Facts. In 1994, E, a qualified trust established 
under Plan F, acquires 10 percent of L stock. A is a participant in Plan 
F. On January 1, 2002, A acquires 4 percent of L stock, and B, who is 
not a participant or a beneficiary of a participant in Plan F, acquires 
5 percent of L stock. On January 1, 2004, E distributes 2 percent of L 
stock to A. On July 1, 2004, A acquires 1 percent of L stock.
    (ii) Analysis. January 1, 2002, is a testing date because B's 
acquisition of 5 percent of L stock causes an increase in the percentage 
ownership of B, a 5-percent shareholder. As of the close of that testing 
date, A is treated as owning only 4 percent of L stock. Therefore, A is 
treated as a member of the public group of L. In addition, E is treated 
as owning 10 percent of L stock that it acquired in 1994.
    (iii) As a result of the application of paragraph (a)(1) of this 
section to E's distribution of 2 percent of L stock to A on January 1, 
2004, for testing dates on and after January 1, 2004, A is treated as 
having acquired that 2 percent interest in L in 1994, and E is treated 
as having acquired only 8 percent of L stock in 1994. Because there are 
no owner shifts on January 1, 2004, that date is not a testing date.
    (iv) July 1, 2004, is a testing date because on that date A, a 5-
percent shareholder, acquires 1 percent of L stock. As of the close of 
that testing date, A's percentage of ownership of L stock is 7 percent, 
and A's lowest percentage of ownership of L stock at any time within the 
testing period is 2 percent (deemed acquired in 1994), representing an

[[Page 523]]

increase of 5 percentage points. In addition, as of the close of July 1, 
2004, B's percentage of ownership of L stock is 5 percent, and B's 
lowest percentage of ownership of L stock at any time within the testing 
period is 0 percent, representing an increase of 5 percentage points. 
Thus, on July 1, 2004, L must take into account an increase of 10 (5 + 
5) percentage points in determining whether it has an ownership change.
    Example 2. (i) Facts. E is a qualified trust established under Plan 
F. L, a publicly traded corporation, has 100x shares of stock 
outstanding. As of January 1, 2006, C owns 5x shares of L stock and is 
not a participant or beneficiary of a participant in Plan F. At all 
times prior to January 1, 2006, E owns no L stock. On January 1, 2006, E 
acquires 10x shares of L stock from members of the public group of L. On 
December 1, 2007, E distributes 5x shares of L stock to some of the 
participants in Plan F. No one participant acquires all 5x shares as a 
result of the distribution. On February 1, 2008, C purchases 1x shares 
of L stock from the public group of L.
    (ii) Analysis. Because E's acquisition of 10x shares of L stock on 
January 1, 2006, is an owner shift, that date is a testing date. As of 
the close of that date, E's percentage of stock ownership in L has 
increased by 10 percentage points.
    (iii) As a result of the application of paragraph (a)(1) of this 
section to E's distribution of 5x shares of L stock to some Plan F 
participants on December 1, 2007, for testing dates on and after 
December 1, 2007, those distributees are treated as having acquired 
those shares of stock on January 1, 2006, from members of the public 
group of L, and E is not treated as having acquired those shares on that 
date. E's distribution of the 5x shares is not an owner shift. 
Therefore, December 1, 2007, is not a testing date.
    (iv) February 1, 2008, is a testing date because on that date an 
owner shift results from C's purchase of 1x shares of L stock. As of the 
close of that testing date, the distributees of 5x shares of L stock are 
treated as members of the public group of L having acquired 5x shares of 
L stock from other members of the public group of L on January 1, 2006. 
Because those acquisitions are not by 5-percent shareholders, L does not 
take them into account. In addition, as of the close of February 1, 
2008, E's percentage of stock ownership in L is 5 percent, and E's 
lowest percentage of stock ownership in L at any time within the testing 
period is 0 percent, representing an increase of 5 percentage points. In 
addition, as of the close of February 1, 2008, C's percentage of stock 
ownership in L is 6 percent, and C's lowest percentage of stock 
ownership in L at any time within the testing period is 5 percent, 
representing an increase of 1 percentage point. Therefore, on February 
1, 2008, L must take into account an increase of 6 (5 + 1) percentage 
points in determining whether it has an ownership change.

    (4) Effective date--(i) General rule. This section applies to all 
distributions after June 27, 2003.
    (ii) Retroactive application. Notwithstanding paragraph (a)(4)(i) of 
this section, a loss corporation may apply the rules of this section 
retroactively to:
    (A) All distributions on or before June 27, 2003 that are within a 
testing period that includes June 27, 2003; or
    (B) All distributions after December 31, 1986.
    (b) [Reserved]

[T.D. 9063, 68 FR 38178, June 27, 2003]