[Code of Federal Regulations]
[Title 26, Volume 6]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.446-5]

[Page 79-80]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.446-5  Debt issuance costs.

    (a) In general. This section provides rules for allocating debt 
issuance costs over the term of the debt. For purposes of this section, 
the term debt issuance costs means those transaction costs incurred by 
an issuer of debt (that is, a borrower) that are required to be 
capitalized under Sec. 1.263(a)-5. If these costs are otherwise 
deductible, they are deductible by the issuer over the term of the debt 
as determined under paragraph (b) of this section.
    (b) Method of allocating debt issuance costs--(1) In general. Solely 
for purposes of determining the amount of debt issuance costs that may 
be deducted in any period, these costs are treated as if they adjusted 
the yield on the debt. To effect this, the issuer treats the costs as if 
they decreased the issue price of the debt. See Sec. 1.1273-2 to 
determine issue price. Thus, debt issuance costs increase or create 
original issue discount and decrease or eliminate bond issuance premium.
    (2) Original issue discount. Any resulting original issue discount 
is taken into account by the issuer under the rules in Sec. 1.163-7, 
which generally require the use of a constant yield method (as described 
in Sec. 1.1272-1) to compute how much original issue discount is 
deductible for a period. However, see Sec. 1.163-7(b) for special rules 
that apply if the total original issue discount on the debt is de 
minimis.
    (3) Bond issuance premium. Any remaining bond issuance premium is 
taken into account by the issuer under the rules of Sec. 1.163-13, 
which generally require the use of a constant yield method for purposes 
of allocating bond issuance premium to accrual periods.
    (c) Examples. The following examples illustrate the rules of this 
section:

    Example 1. (i) On January 1, 2004, X borrows $10,000,000. The 
principal amount of the loan ($10,000,000) is repayable on December 31, 
2008, and payments of interest in the amount of $500,000 are due on 
December 31 of each year the loan is outstanding. X incurs debt issuance 
costs of $130,000 to facilitate the borrowing.
    (ii) Under Sec. 1.1273-2, the issue price of the loan is 
$10,000,000. However, under paragraph (b) of this section, X reduces the 
issue price of the loan by the debt issuance costs of $130,000, 
resulting in an issue price of $9,870,000. As a result, X treats the 
loan as having original issue discount in the amount of $130,000 (stated 
redemption price at maturity of $10,000,000 minus the issue price of 
$9,870,000). Because this amount of original issue discount is more than 
the de minimis amount of original issue discount for the loan determined 
under Sec. 1.1273-1(d) ($125,000 ($10,000,000 x .0025 x 5)), X must 
allocate the original issue discount to each year based on the constant 
yield method described in Sec. 1.1272-1(b). See Sec. 1.163-7(a). Based 
on this method and a yield of 5.30%, compounded annually, the original 
issue discount is allocable to each year as follows: $23,385 for 2004, 
$24,625 for 2005, $25,931 for 2006, $27,306 for 2007, and $28,753 for 
2008.
    Example 2. (i) Assume the same facts as in Example 1, except that X 
incurs debt issuance costs of $120,000 rather than $130,000.
    (ii) Under Sec. 1.1273-2, the issue price of the loan is 
$10,000,000. However, under paragraph (b) of this section, X reduces the 
issue price of the loan by the debt issuance costs of $120,000, 
resulting in an issue price of $9,880,000. As a result, X treats the 
loan as having original issue discount in the amount of $120,000 (stated 
redemption price at maturity of $10,000,000 minus the issue price of 
$9,880,000). Because this amount of original issue discount is less than 
the de minimis amount of original issue discount for the loan determined 
under Sec. 1.1273-1(d) ($125,000), X does not have to use the constant 
yield method described in Sec. 1.1272-1(b) to allocate the original 
issue discount to each year. Instead, under Sec. 1.163-7(b)(2), X can 
choose to allocate the original issue discount to each year on a 
straight-line basis over the term of the loan or in proportion to the 
stated interest payments ($24,000 each year). X also could choose to 
deduct the original issue discount at maturity of the loan. X makes its 
choice by reporting the original issue discount in a manner consistent 
with the method chosen on X's timely filed federal income tax return for 
2004. If X wanted to use the constant yield method, based on a yield of 
5.279%, compounded annually, the original issue discount is allocable to 
each year as follows: $21,596 for 2004, $22,736 for 2005,

[[Page 80]]

$23,937 for 2006, $25,200 for 2007, and $26,531 for 2008.

    (d) Effective date. This section applies to debt issuance costs paid 
or incurred for debt instruments issued on or after December 31, 2003.
    (e) Accounting method changes--(1) Consent to change. An issuer 
required to change its method of accounting for debt issuance costs to 
comply with this section must secure the consent of the Commissioner in 
accordance with the requirements of Sec. 1.446-1(e). Paragraph (e)(2) 
of this section provides the Commissioner's automatic consent for 
certain changes.
    (2) Automatic consent. The Commissioner grants consent for an issuer 
to change its method of accounting for debt issuance costs incurred for 
debt instruments issued on or after December 31, 2003. Because this 
change is made on a cut-off basis, no items of income or deduction are 
omitted or duplicated and, therefore, no adjustment under section 481 is 
allowed. The consent granted by this paragraph (e)(2) applies provided--
    (i) The change is made to comply with this section;
    (ii) The change is made for the first taxable year for which the 
issuer must account for debt issuance costs under this section; and
    (iii) The issuer attaches to its federal income tax return for the 
taxable year containing the change a statement that it has changed its 
method of accounting under this section.

[T.D. 9107, 69 FR 464, Jan. 5, 2004]