[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: 26CFR1.481-1]

[Page 565-566]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.481-1  Adjustments in general.

    (a)(1) Section 481 prescribes the rules to be followed in computing 
taxable income in cases where the taxable income of the taxpayer is 
computed under a method of accounting different from that under which 
the taxable income was previously computed. A change in method of 
accounting to which section 481 applies includes a change in the over-
all method of accounting for gross income or deductions, or a change in 
the treatment of a material item. For rules relating to changes in 
methods of accounting, see section 446(e) and paragraph (e) of Sec. 
1.446-1. In computing taxable income for the taxable year of the change, 
there shall be taken into account those adjustments which are determined 
to be necessary solely by reason of such change in order to prevent 
amounts from being duplicated or omitted. The ``year of the change'' is 
the taxable year for which the taxable income of the taxpayer is 
computed under a method of accounting different from that used for the 
preceding taxable year.
    (2) Unless the adjustments are attributable to a change in method of 
accounting initiated by the taxpayer, no part of the adjustments 
required by subparagraph (1) of this paragraph shall be based on amounts 
which were taken into account in computing income (or which should have 
been taken into account had the new method of accounting been used) for 
taxable years beginning before January 1, 1954, or ending before August 
17, 1954 (hereinafter referred to as pre-1954 years).
    (b) The adjustments specified in section 481(a) and this section 
shall take into account inventories, accounts receivable, accounts 
payable, and any other item determined to be necessary in order to 
prevent amounts from being duplicated or omitted.
    (c)(1) The term ``adjustments'', as used in section 481, has 
reference to the net amount of the adjustments required by section 
481(a) and paragraph (b) of this section. In the case of a change in the 
over-all method of accounting, such as from the cash receipts and 
disbursements method to an accrual method, the term ``net amount of the 
adjustments'' means the consolidation of adjustments (whether the 
amounts thereof represent increases or decreases in items of income or 
deductions) arising with respect to balances in various accounts, such 
as inventory, accounts receivable, and accounts payable, at the 
beginning of the taxable year of the change in method of accounting. 
With respect to the portion of the adjustments attributable to pre-1954 
years, it is immaterial that the same items or class of items with 
respect to which adjustments would have to be made (for the first 
taxable year to which section 481 applies) do not exist at the time the 
actual change in method of accounting occurs. For purposes of section 
481, only the net dollar balance is to be taken into account. In the 
case of a change in the treatment of a single material item, the amount 
of the adjustment shall be determined

[[Page 566]]

with reference only to the net dollar balances in that particular 
account.
    (2) If a change in method of accounting is voluntary (i.e., 
initiated by the taxpayer), the entire amount of the adjustments 
required by section 481(a) is generally taken into account in computing 
taxable income in the taxable year of the change, regardless of whether 
the adjustments increase or decrease taxable income. See, however, 
Sec. Sec. 1.446-1(e)(3) and 1.481-4 which provide that the Commissioner 
may prescribe the taxable year or years in which the adjustments are 
taken into account.
    (3) If the change in method of accounting is involuntary (i.e., not 
initiated by the taxpayer), then only the amount of the adjustments 
required by section 481(a) that is attributable to taxable years 
beginning after December 31, 1953, and ending after August 16, 1954, 
(hereinafter referred to as post-1953 years) is taken into account. This 
amount is generally taken into account in computing taxable income in 
the taxable year of the change, regardless of whether the adjustments 
increase or decrease taxable income. See, however, Sec. Sec. 1.446-
1(e)(3) and 1.481-4 which provide that the Commissioner may prescribe 
the taxable year or years in which the adjustments are taken into 
account. See also Sec. 1.481-3 for rules relating to adjustments 
attributable to pre-1954 years.
    (4) For any adjustments attributable to post-1953 years that are 
taken into account entirely in the year of change and that increase 
taxable income by more than $3,000, the limitations on tax provided in 
section 481(b) (1) or (2) apply. See Sec. 1.481-2 for rules relating to 
the limitations on tax provided by sections 481(b) (1) and (2).
    (5) A change in the method of accounting initiated by the taxpayer 
includes not only a change which he originates by securing the consent 
of the Commissioner, but also a change from one method of accounting to 
another made without the advance approval of the Commissioner. A change 
in the taxpayer's method of accounting required as a result of an 
examination of the taxpayer's income tax return will not be considered 
as initiated by the taxpayer. On the other hand, a taxpayer who, on his 
own initiative, changes his method of accounting in order to conform to 
the requirements of any Federal income tax regulation or ruling shall 
not, merely because of such fact, be considered to have made an 
involuntary change.
    (d) Any adjustments required under section 481(a) that are taken 
into account during a taxable year must be properly taken into account 
for purposes of computing gross income, adjusted gross income, or 
taxable income in determining the amount of any item of gain, loss, 
deduction, or credit that depends on gross income, adjusted gross 
income, or taxable income.

[T.D. 6500, 25 FR 11731, Nov. 26, 1960, as amended by T.D. 8608, 60 FR 
40078, Aug. 7, 1995]