[Code of Federal Regulations]
[Title 26, Volume 8]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.818-5]

[Page 684-687]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
Determination of Tax Liability--Table of Contents
 
Sec. 1.818-5  Short taxable years.

    (a) In general. Section 818(d) provides that if any return of a 
corporation made under part I, subchapter L, chapter 1 of the Code, is 
for a period of less than the entire calendar year, then section 443 
(relating to returns for a period of less than 12 months) shall not 
apply. This section further provides certain rules to be used in 
determining the life insurance company taxable income for a period of 
less than the entire calendar year.
    (b) Returns for periods of less than the entire calendar year. A 
return for a short period, that is, for a taxable year consisting of a 
period of less than the entire calendar year, shall be made only under 
the following circumstances:
    (1) If a company which qualifies as a life insurance company is not 
in existence for the entire taxable year, a return is required for the 
short period during which the taxpayer was in existence. For example, a 
life insurance company organized on August 1, is required to file a 
return for the short period from August 1 to December 31, and returns 
for each calendar year thereafter. Similarly, if a company which 
qualifies as a life insurance company

[[Page 685]]

completely dissolves during the taxable year it is required to file a 
return for the short period from January 1 to the date it goes out of 
existence. All items entering into the computation of taxable investment 
income and gain or loss from operations for the short period shall be 
determined on a consistent basis and in the manner provided in paragraph 
(c) of this section.
    (2) A return must be filed for a short period resulting from the 
termination by the district director of a taxpayer's taxable year for 
jeopardy. See section 6851 and the regulations thereunder.

A company which was an insurance company for the preceding taxable year 
(but not a life insurance company as defined in section 801(a) and 
paragraph (b) of Sec. 1.801-3) and which for the current taxable year 
qualifies as a life insurance company shall not file a return for the 
short period from the time during the taxable year that it first 
qualifies as a life insurance company to the end of the taxable year. 
Similarly, an insurance company which was a life insurance company for 
the preceding taxable year but which for the current taxable year does 
not qualify as a life insurance company shall not file a return for the 
short period from the beginning of the taxable year to the time during 
the taxable year that it no longer qualifies as a life insurance 
company.
    (c) Computation of life insurance company taxable income for short 
period. (1) If a return is made for a short period, section 818(d)(1) 
provides that the taxable investment income and the gain or loss from 
operations shall be determined on an annual basis by a ratable daily 
projection of the appropriate figures for the short period. The 
appropriate figures for the short period shall be determined on an 
annual basis by multiplying such figures by a fraction, the numerator of 
which is the number of days in the calendar year in which the short 
period occurs and the denominator of which is the number of days in the 
short period.
    (2)(i) In computing taxable investment income for a short period, 
the investment yield, the policy and other contract liability 
requirements, the policyholders' share of each and every item of 
investment yield, and the company's share of any item of investment 
yield shall be determined on an annual basis.
    (ii) For purposes of determining the investment yield on an annual 
basis, each item of gross investment income under section 804(b) and 
each item of deduction under section 804(c) shall be annualized in the 
manner provided in subparagraph (1) of this paragraph. In any case in 
which a limitation is placed on the amount of a deduction provided under 
section 804(c), the limitation shall apply to the item of deduction 
computed on an annual basis.
    (iii) The policy and other contract liability requirements shall be 
determined on an annual basis in the following manner:
    (a) The interest paid (as defined in section 805(e) and Sec. 1.805-
8) for the short period shall be annualized in the manner prescribed in 
subparagraph (1) of this paragraph.
    (b) The current earnings rate for the taxable year in which the 
short period occurs shall be determined by dividing the taxpayer's 
investment yield, as determined on an annual basis under subdivision 
(ii) of this subparagraph, by the mean of the taxpayer's assets at the 
beginning and end of the short period. For purposes of section 805, any 
reference to the current earnings rate for the taxable year in which the 
short period occurs means the current earnings rate as determined under 
this subdivision.
    (c) The adjusted life insurance reserves shall be determined as 
provided in section 805(c), and the pension plan reserves shall be 
determined as provided in section 805(d).
    (iv) The policyholders' share of each and every item of investment 
yield (as defined in section 804(a)) shall be that percentage obtained 
by dividing the policy and other contract liability requirements, 
determined under subdivision (iii) of this subparagraph, by the 
investment yield, determined under subdivision (ii) of this 
subparagraph.
    (v) The taxable investment income for the short period shall be an 
amount (not less than zero) equal to the life insurance company's share 
of each and every item of investment yield, as determined under 
subdivision (ii) of this

[[Page 686]]

subparagraph, reduced by the items described in section 804(a)(2) (A) 
and (B). In determining these reductions under section 804(a)(2)(A) the 
amount of the respective items shall be the amount that is determined on 
an annual basis under subdivision (ii) of this subparagraph. The small 
business deduction, under section 804(a)(2)(B) shall be an amount (not 
to exceed $25,000) equal to 10 percent of the investment yield, 
determined under subdivision (ii) of this subparagraph, for the short 
period.
    (vi) Except as provided in this paragraph, the determination of 
taxable investment income under subpart B, part I, subchapter L, chapter 
1 of the Code, shall be made in accordance with all the provisions of 
that subpart.
    (3)(i) In computing gain or loss from operations for a short period, 
the share of each and every item of investment yield set aside for 
policyholders, the life insurance company's share of each and every item 
of investment yield, the items of gross amount, and the items of 
deduction shall, except as modified by this subparagraph, be determined 
on an annual basis in the manner provided in subparagraph (1) of this 
paragraph. In any case in which a limitation is placed on the amount of 
a deduction provided under section 809, the limitation shall apply to 
the item of deduction computed on an annualized basis.
    (ii) For purposes of sections 809 and 810, the investment yield 
shall be determined in the manner provided in subparagraph (2)(ii) of 
this paragraph. The share of any item of investment yield set aside for 
policyholders shall be that percentage obtained by dividing the required 
interest as determined under section 809(a)(2), by the investment yield, 
as determined in this subparagraph, except that if the required interest 
exceeds the investment yield then the share of any item of investment 
yield set aside for policyholders shall be 100 percent.
    (iii) The items of gross amount and the items of deduction, other 
than the operations loss deduction under section 809(d)(4), shall be 
determined on an annual basis. See subdivision (iv) of this subparagraph 
for the manner in which the net decrease or net increase in reserves 
under section 810 shall be annualized.
    (iv) For purposes of determining either a net decrease in reserves 
under section 810(a) or a net increase in reserves under section 810(b), 
the sum of the items described in section 810(c) as of the end of the 
short period shall be reduced by the amount of the investment yield not 
included in gain or loss from operations for the short period by reason 
of section 809(a)(1). The amount of investment yield excluded under 
section 809(a)(1) has been determined upon an annualized basis while the 
sum of the items described in section 180(c) at the end of the short 
period has been determined on an actual basis. In order to place these 
on the same basis, the amount of investment yield not included in gain 
or loss from operations by reason of section 809(a)(1), determined under 
subdivision (ii) shall, for purposes of section 810(a) and section 
810(b), be reduced to an amount which bears the same ratio to the full 
amount as the number of days in the short period bears to the number of 
days in the entire calendar year. The net decrease or the net increase 
of the items referred to in section 810(c) for the short period shall 
then be determined, as provided in section 810(a) and section 810(b), 
respectively, and the result annualized.
    (4) The portion of the life insurance company taxable income 
described in section 802(b) (1) and (2) (relating to taxable investment 
income and gain or loss from operations) shall be determined on an 
annual basis by treating the amounts ascertained under subparagraph (2) 
of this paragraph as the taxable investment income, and the amount 
ascertained under subparagraph (3) of this paragraph as the gain or loss 
from operations, for the taxable year.
    (5) The portion of the life insurance company taxable income 
described in section 802(b) (1) and (2) for the short period shall be 
the amount which bears the same ratio to the amount ascertained under 
section 818(d) (2) and subparagraph (4) of this paragraph as the number 
of days in the short period bears to the number of days in the entire 
year.
    (d) Special rules. (1) For purposes of determining the average 
earnings rate

[[Page 687]]

(as defined in section 805(b)(3)) for subsequent taxable years, the 
current earnings rate for the taxable year in which the short period 
occurs shall be the rate determined under paragraph (c)(2) of this 
section.
    (2) For purposes of determining an operations loss deduction under 
section 812, the loss from operations for the short period shall be the 
loss from operations determined under paragraph (c)(5) of this section.

[T.D. 6558, 26 FR 2788, Apr. 4, 1961]