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Guidance Regarding Deferred Discharge of Indebtedness Income of Corporations and Deferred Original Issue Discount Deductions

tax-irs · IRS · Rule · Published 2013-07-03 · Effective 2013-07-02 · 78 FR 39984

Document

Document number
2013-15881
Federal Register citation
78 FR 39984
CFR reference
26 CFR 1
Type
Rule
Action
Final regulations and removal of temporary regulations.
Category
tax-irs
Sub-agency
IRS
Publication date
2013-07-03
Effective date
2013-07-02
Treasury docket
TD 9622

Abstract

This document contains final regulations under section 108(i) of the Internal Revenue Code (Code). These regulations primarily affect C corporations and provide necessary guidance regarding the accelerated inclusion of deferred discharge of indebtedness (also known as cancellation of debt (COD)) income (deferred COD income) and the accelerated deduction of deferred original issue discount (OID) (deferred OID deductions) under section 108(i)(5)(D) (acceleration rules), and the calculation of earnings and profits as a result of an election under section 108(i). In addition, these regulations provide rules applicable to all taxpayers regarding deferred OID deductions under section 108(i) as a result of a reacquisition of an applicable debt instrument by an issuer or related party.

Source

Authoritative
Federal Register document
Machine
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