[Code of Federal Regulations]
[Title 26, Volume 10]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.985-8]

[Page 568-571]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.985-8  Special rules applicable to the European Monetary Union 
(conversion to euro).

    (a) Definitions--(1) Legacy currency. A legacy currency is the 
former currency of a Member State of the European Community which is 
substituted for the euro in accordance with the Treaty establishing the 
European Community signed February 7, 1992. The term legacy currency 
shall also include the European Currency Unit.
    (2) Conversion rate. The conversion rate is the rate at which the 
euro is substituted for a legacy currency.
    (b) Operative rules--(1) Initial adoption. A QBU (as defined in 
Sec. 1.989(a)-1(b)) whose first taxable year begins after the euro has 
been substituted for a legacy currency may not adopt a legacy currency 
as its functional currency.
    (2) QBU with a legacy currency as its functional currency--(i) 
Required change. A QBU with a legacy currency as its functional currency 
is required to change its functional currency to the euro beginning the 
first day of the first taxable year--
    (A) That begins on or after the day that the euro is substituted for 
that legacy currency (in accordance with the Treaty on European Union); 
and
    (B) In which the QBU begins to maintain its books and records (as 
described in Sec. 1.989(a)-1(d)) in the euro.
    (ii) Notwithstanding paragraph (b)(2)(i) of this section, a QBU with 
a legacy currency as its functional currency is required to change its 
functional currency to the euro no later than the last taxable year 
beginning on or before the first day such legacy currency is no longer 
valid legal tender.
    (3) QBU with a non-legacy currency as its functional currency --(i) 
In general. A QBU with a non-legacy currency as its functional currency 
may change its functional currency to the euro pursuant to this Sec. 
1.985-8 if--
    (A) Under the rules set forth in Sec. 1.985-1(c), the euro is the 
currency of the economic environment in which a significant part of the 
QBU's activities are conducted;
    (B) After conversion, the QBU maintains its books and records (as 
described in Sec. 1.989(a)-1(d)) in the euro; and
    (C) The QBU is not required to use the dollar as its functional 
currency under Sec. 1.985-1(b).
    (ii) Time period for change. A QBU with a non-legacy currency as its 
functional currency may change its functional currency to the euro under 
this section only if it does so within the period set forth in paragraph 
(b)(2) of this section as if the functional currency of the QBU was a 
legacy currency.
    (4) Consent of Commissioner. A change made pursuant to paragraph (b) 
of this section shall be deemed to be made with the consent of the 
Commissioner for purposes of Sec. 1.985-4. A QBU changing its 
functional currency to the euro pursuant to paragraph (b)(2) of this 
section must make adjustments as provided in paragraph (c) of this 
section. A QBU changing its functional currency to the euro pursuant to 
paragraph (b)(3) must make adjustments as provided in Sec. 1.985-5.
    (5) Statement to file upon change. With respect to a QBU that 
changes its functional currency to the euro under paragraph (b) of this 
section, an affected taxpayer shall attach to its return for the taxable 
year of change a statement that includes the following: ``TAXPAYER 
CERTIFIES THAT A QBU OF THE TAXPAYER HAS CHANGED ITS FUNCTIONAL CURRENCY 
TO THE EURO PURSUANT TO TREAS. REG.

[[Page 569]]

Sec. 1.985-8.'' For purposes of this paragraph (b)(5), an affected 
taxpayer shall be in the case where the QBU is: a QBU of an individual 
U.S. resident (as a result of the activities of such individual), the 
individual; a QBU branch of a U.S. corporation, the corporation; a 
controlled foreign corporation (as described in section 957)(or QBU 
branch thereof), each United States shareholder (as described in section 
951(b)); a partnership, each partner separately; a noncontrolled section 
902 corporation (as described in section 904(d)(2)(E)) (or branch 
thereof), each domestic shareholder as described in Sec. 1.902-1(a)(1); 
or a trust or estate, the fiduciary of such trust or estate.
    (c) Adjustments required when a QBU changes its functional currency 
from a legacy currency to the euro pursuant to paragraph (b)(2) of this 
section--(1) In general. A QBU that changes its functional currency from 
a legacy currency to the euro pursuant to paragraph (b)(2) of this 
section must make the adjustments described in paragraphs (c)(2) through 
(5) of this section. Section 1.985-5 shall not apply.
    (2) Determining the euro basis of property and the euro amount of 
liabilities and other relevant items. The euro basis in property and the 
euro amount of liabilities and other relevant items shall equal the 
product of the legacy functional currency adjusted basis or amount of 
liabilities multiplied by the applicable conversion rate.
    (3) Taking into account exchange gain or loss on legacy currency 
section 988 transactions--(i) In general. Except as provided in 
paragraphs (c)(3)(iii) and (iv) of this section, a legacy currency 
denominated section 988 transaction (determined after applying section 
988(d)) outstanding on the last day of the taxable year immediately 
prior to the year of change shall continue to be treated as a section 
988 transaction after the change and the principles of section 988 shall 
apply.
    (ii) Examples. The application of this paragraph (c)(3) may be 
illustrated by the following examples:

    Example 1. X, a calendar year QBU on the cash method of accounting, 
uses the deutschmark as its functional currency. X is not described in 
section 1281(b). On July 1, 1998, X converts 10,000 deutschmarks (DM) 
into Dutch guilders (fl) at the spot rate of fl1 = DM1 and loans the 
10,000 guilders to Y (an unrelated party) for one year at a rate of 10% 
with principal and interest to be paid on June 30, 1999. On January 1, 
1999, X changes its functional currency to the euro pursuant to this 
section. Assume that the euro/deutschmark conversion rate is set by the 
European Council at [euro]1= DM2. Assume further that the euro/guilder 
conversion rate is set at [euro]1 = fl2.25. Accordingly, under the terms 
of the note, on June 30, 1999, X will receive [euro]4444.44 (fl10,000/
2.25) of principal and [euro]444.44 (fl1,000/2.25) of interest. Pursuant 
to this paragraph (c)(3), X will realize an exchange loss on the 
principal computed under the principles of Sec. 1.988-2(b)(5). For this 
purpose, the exchange rate used under Sec. 1.988-2(b)(5)(i) shall be 
the guilder/euro conversion rate. The amount under Sec. 1.988-
2(b)(5)(ii) is determined by translating the fl10,000 at the guilder/
deutschmark spot rate on July 1, 1998, and translating that deutschmark 
amount into euros at the deutschmark/euro conversion rate. Thus, X will 
compute an exchange loss for 1999 of [euro]555.56 determined as follows: 
[[euro]4444.44 (fl10,000/2.25)-5000 ((fl10,000/1)/2) = - [euro]555.56]. 
Pursuant to this paragraph (c)(3), the character and source of the loss 
are determined pursuant to section 988 and regulations thereunder. 
Because X uses the cash method of accounting for the interest on this 
debt instrument, X does not realize exchange gain or loss on the receipt 
of that interest.
    Example 2. (i) X, a calendar year QBU on the accrual method of 
accounting, uses the deutschmark as its functional currency. On February 
1, 1998, X converts 12,000 deutschmarks into Dutch guilders at the spot 
rate of fl1 = DM1 and loans the 12,000 guilders to Y (an unrelated 
party) for one year at a rate of 10% with principal and interest to be 
paid on January 31, 1999. In addition, assume the average rate 
(deutschmark/guilder) for the period from February 1, 1998, through 
December 31, 1998 is fl1.07 = DM1. Pursuant to Sec. 1.988-
2(b)(2)(ii)(C), X will accrue eleven months of interest on the note and 
recognize interest income of DM1028.04 (fl1100/1.07) in the 1998 taxable 
year.
    (ii) On January 1, 1999, the euro will replace the deutschmark as 
the national currency of Germany pursuant to the Treaty on European 
Union signed February 7, 1992. Assume that on January 1, 1999, X changes 
its functional currency to the euro pursuant to this section. Assume 
that the euro/deutschmark conversion rate is set by the European Council 
at [euro]1 = DM2. Assume further that the euro/guilder conversion rate 
is set at [euro]1 = fl2.25. In 1999, X will accrue one month of interest 
equal to [euro]44.44 (fl100/2.25). On January 31, 1999, pursuant to the 
note, X will receive interest denominated in euros of [euro]533.33 
(fl1200/2.25). Pursuant to this paragraph (c)(3), X will realize an 
exchange loss

[[Page 570]]

in the 1999 taxable year with respect to accrued interest computed under 
the principles of Sec. 1.988-2(b)(3). For this purpose, the exchange 
rate used under Sec. 1.988-2(b)(3)(i) is the guilder/euro conversion 
rate and the exchange rate used under Sec. 1.988-2(b)(3)(ii) is the 
deutschmark/euro conversion rate. Thus, with respect to the interest 
accrued in 1998, X will realize exchange loss of [euro]25.13 under Sec. 
1.988-2(b)(3) as follows: [[euro]488.89 (fl1100/2.25)- [euro]514.02 
(DM1028.04/2) =- [euro]25.13]. With respect to the one month of interest 
accrued in 1999, X will realize no exchange gain or loss since the 
exchange rate when the interest accrued and the spot rate on the payment 
date are the same.
    (iii) X will realize exchange loss of [euro]666.67 on repayment of 
the loan principal computed in the same manner as in Example 1 
[[euro]5333.33 (fl12,000/2.25)- [euro]6000 fl12,000/1)/2)]. The losses 
with respect to accrued interest and principal are characterized and 
sourced under the rules of section 988.

    (iii) Special rule for legacy nonfunctional currency. The QBU shall 
realize or otherwise take into account for all purposes of the Internal 
Revenue Code the amount of any unrealized exchange gain or loss 
attributable to nonfunctional currency (as described in section 
988(c)(1)(C)(ii)) that is denominated in a legacy currency as if the 
currency were disposed of on the last day of the taxable year 
immediately prior to the year of change. The character and source of the 
gain or loss are determined under section 988.
    (iv) Legacy currency denominated accounts receivable and payable--
(A) In general. A QBU may elect to realize or otherwise take into 
account for all purposes of the Internal Revenue Code the amount of any 
unrealized exchange gain or loss attributable to a legacy currency 
denominated item described in section 988(c)(1)(B)(ii) as if the item 
were terminated on the last day of the taxable year ending prior to the 
year of change.
    (B) Time and manner of election. With respect to a QBU that makes an 
election described in paragraph (c)(3)(iv)(A) of this section, an 
affected taxpayer (as described in paragraph (b)(5) of this section) 
shall attach a statement to its tax return for the taxable year ending 
immediately prior to the year of change which includes the following: 
``TAXPAYER CERTIFIES THAT A QBU OF THE TAXPAYER HAS ELECTED TO REALIZE 
CURRENCY GAIN OR LOSS ON LEGACY CURRENCY DENOMINATED ACCOUNTS RECEIVABLE 
AND PAYABLE UPON CHANGE OF FUNCTIONAL CURRENCY TO THE EURO.'' A QBU 
making the election must do so for all legacy currency denominated items 
described in section 988(c)(1)(B)(ii).
    (4) Adjustments when a branch changes its functional currency to the 
euro--(i) Branch changing from a legacy currency to the euro in a 
taxable year during which taxpayer's functional currency is other than 
the euro. If a branch changes its functional currency from a legacy 
currency to the euro for a taxable year during which the taxpayer's 
functional currency is other than the euro, the branch's euro equity 
pool shall equal the product of the legacy currency amount of the equity 
pool multiplied by the applicable conversion rate. No adjustment to the 
basis pool is required.
    (ii) Branch changing from a legacy currency to the euro in a taxable 
year during which taxpayer's functional currency is the euro. If a 
branch changes its functional currency from a legacy currency to the 
euro for a taxable year during which the taxpayer's functional currency 
is the euro, the taxpayer shall realize gain or loss attributable to the 
branch's equity pool under the principles of section 987, computed as if 
the branch terminated on the last day prior to the year of change. 
Adjustments under this paragraph (c)(4)(ii) shall be taken into account 
by the taxpayer ratably over four taxable years beginning with the 
taxable year of change.
    (5) Adjustments to a branch's accounts when a taxpayer changes to 
the euro--(i) Taxpayer changing from a legacy currency to the euro in a 
taxable year during which a branch's functional currency is other than 
the euro. If a taxpayer changes its functional currency to the euro for 
a taxable year during which the functional currency of a branch of the 
taxpayer is other than the euro, the basis pool shall equal the product 
of the legacy currency amount of the basis pool multiplied by the 
applicable conversion rate. No adjustment to the equity pool is 
required.
    (ii) Taxpayer changing from a legacy currency to the euro in a 
taxable year

[[Page 571]]

during which a branch's functional currency is the euro. If a taxpayer 
changes its functional currency from a legacy currency to the euro for a 
taxable year during which the functional currency of a branch of the 
taxpayer is the euro, the taxpayer shall take into account gain or loss 
as determined under paragraph (c)(4)(ii) of this section.
    (6) Additional adjustments that are necessary when a corporation 
changes its functional currency to the euro. The amount of a 
corporation's euro currency earnings and profits and the amount of its 
euro paid-in capital shall equal the product of the legacy currency 
amounts of these items multiplied by the applicable conversion rate. The 
foreign income taxes and accumulated profits or deficits in accumulated 
profits of a foreign corporation that were maintained in foreign 
currency for purposes of section 902 and that are attributable to 
taxable years of the foreign corporation beginning before January 1, 
1987, also shall be translated into the euro at the conversion rate.
    (d) Treatment of legacy currency section 988 transactions with 
respect to a QBU that has the euro as its functional currency--(1) In 
general. This Sec. 1.985-8(d) applies to a QBU that has the euro as its 
functional currency and that holds a section 988 transaction denominated 
in, or determined by reference to, a currency that is substituted by the 
euro. For example, this paragraph (d) will apply to a German QBU with 
the euro as its functional currency if the QBU is holding Country X 
currency or other section 988 transactions denominated in such currency 
on the day in the year 2005 when the euro is substituted for the Country 
X currency.
    (2) Principles of paragraph (c)(3) of this section shall apply. With 
respect to a QBU described in paragraph (d) of this section, the 
principles of paragraph (c)(3) of this section shall apply. For example, 
if a German QBU with the euro as its functional currency is holding a 
Country X currency denominated debt instrument on the day in the year 
2005 when the euro is substituted for the Country X currency, the 
instrument shall continue to be treated as a section 988 transaction 
pursuant to the principles of paragraph (c)(3)(i) of this section. 
However, if such QBU holds Country X currency, the QBU shall take into 
account any unrealized exchange gain or loss pursuant to the principles 
of paragraph (c)(3)(iii) of this section as if the currency was disposed 
of on the day prior to the day the euro is substituted for the Country X 
currency. Similarly, if the QBU makes an election under the principles 
of paragraph (c)(3)(iv) of this section, the QBU shall take into account 
for all purposes of the Internal Revenue Code the amount of any 
unrealized exchange gain or loss attributable to a legacy currency 
denominated item described in section 988(c)(1)(B)(ii) as if the item 
were terminated on the day prior to the day the euro is substituted for 
the Country X currency.
    (e) Effective date. This section applies to tax years ending after 
July 29, 1998.

[T.D. 8927, 66 FR 2216, Jan. 11, 2001; T.D. 8927, 66 FR 21447, Apr. 30, 
2001]