[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: 26CFR1.471-2]

[Page 497-498]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.471-2  Valuation of inventories.

    (a) Section 471 provides two tests to which each inventory must 
conform:
    (1) It must conform as nearly as may be to the best accounting 
practice in the trade or business, and
    (2) It must clearly reflect the income.
    (b) It follows, therefore, that inventory rules cannot be uniform 
but must give effect to trade customs which come within the scope of the 
best accounting practice in the particular trade or business. In order 
to clearly reflect income, the inventory practice of a taxpayer should 
be consistent from year to year, and greater weight is to be given to 
consistency than to any particular method of inventorying or basis of 
valuation so long as the method or basis used is in accord with 
Sec. Sec. 1.471-1 through 1.471-11.
    (c) The bases of valuation most commonly used by business concerns 
and which meet the requirements of section 471 are (1) cost and (2) cost 
or market, whichever is lower. (For inventories by dealers in 
securities, see Sec. 1.471-5.) Any goods in an inventory which are 
unsalable at normal prices or unusable in the normal way because of 
damage, imperfections, shop wear, changes of style, odd or broken lots, 
or other similar causes, including second-hand goods taken in exchange, 
should be valued at bona fide selling prices less direct cost of 
disposition, whether subparagraph (1) or (2) of this paragraph is used, 
or if such goods consist of raw materials or partly finished goods held 
for use or consumption, they shall be valued upon a reasonable basis, 
taking into consideration the usability and the condition of the goods, 
but in no case shall such value be less than the scrap value. Bona fide 
selling price means actual offering of goods during a period ending not 
later than 30 days after inventory date. The burden of proof will rest 
upon the taxpayer to show that such exceptional goods as are valued upon 
such selling basis come within the classifications indicated above, and 
he shall maintain such records of the disposition of the goods as will 
enable a verification of the inventory to be made.
    (d) In respect of normal goods, whichever method is adopted must be 
applied with reasonable consistency to the entire inventory of the 
taxpayer's trade or business except as to those goods inventoried under 
the last-in, first-out method authorized by section 472 or to animals 
inventoried under the elective unit, livestock-price-method authorized 
by Sec. 1.471-6. See paragraph (d) of Sec. 1.446-1 for rules 
permitting the use of different methods of accounting if the taxpayer 
has more than one trade or business. Where the taxpayer is engaged in 
more than one trade or business the Commissioner may require that the 
method of valuing inventories with respect to goods in one trade or 
business also be used with respect to similar goods in other trades or 
businesses if, in the opinion of the Commissioner, the use of such 
method with respect to such other goods is essential to a clear 
reflection of income. Taxpayers were given an option to adopt the basis 
of either (1) cost or (2) cost or market, whichever is lower, for their 
1920 inventories. The basis properly adopted for that year or any 
subsequent year is controlling, and a change can now be made only after 
permission is secured from the Commissioner. Application for permission 
to change the basis of valuing inventories shall be made in writing and 
filed with the Commissioner as provided in paragraph (e) of Sec. 1.446-
1. Goods taken in the inventory which have been so intermingled that 
they cannot be identified with specific invoices will be deemed to be 
the goods most recently purchased or produced, and the cost thereof will 
be the actual cost of the goods purchased or produced during the period 
in which the quantity of goods in the inventory has been acquired. But 
see section 472 as to last-in, first-out inventories. Where the taxpayer 
maintains book inventories in accordance with a sound accounting system 
in which the respective inventory accounts are charged with the actual 
cost of the goods purchased or produced and credited with the value of 
goods used, transferred, or sold, calculated upon the basis of the 
actual cost of the goods

[[Page 498]]

acquired during the taxable year (including the inventory at the 
beginning of the year), the net value as shown by such inventory 
accounts will be deemed to be the cost of the goods on hand. The 
balances shown by such book inventories should be verified by physical 
inventories at reasonable intervals and adjusted to conform therewith.
    (e) Inventories should be recorded in a legible manner, properly 
computed and summarized, and should be preserved as a part of the 
accounting records of the taxpayer. The inventories of taxpayers on 
whatever basis taken will be subject to investigation by the district 
director, and the taxpayer must satisfy the district director of the 
correctness of the prices adopted.
    (f) The following methods, among others, are sometimes used in 
taking or valuing inventories, but are not in accord with the 
regulations in this part:
    (1) Deducting from the inventory a reserve for price changes, or an 
estimated depreciation in the value thereof.
    (2) Taking work in process, or other parts of the inventory, at a 
nominal price or at less than its proper value.
    (3) Omitting portions of the stock on hand.
    (4) Using a constant price or nominal value for so-called normal 
quantity of materials or goods in stock.
    (5) Including stock in transit, shipped either to or from the 
taxpayer, the title to which is not vested in the taxpayer.
    (6) Segregating indirect production costs into fixed and variable 
production cost classifications (as defined in Sec. 1.471-11(b)(3)(ii)) 
and allocating only the variable costs to the cost of goods produced 
while treating fixed costs as period costs which are currently 
deductible. This method is commonly referred to as the ``direct cost'' 
method.
    (7) Treating all or substantially all indirect production costs 
(whether classified as fixed or variable) as period costs which are 
currently deductible. This method is generally referred to as the 
``prime cost'' method.

[T.D. 6500, 25 FR 11724, Nov. 26, 1960, as amended by T.D. 7285, 38 FR 
26185, Sept. 19, 1973]