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Unified Rule for Loss on Subsidiary Stock

tax-irs · IRS · Rule · Published 2008-09-17 · Effective 2008-09-17 · 73 FR 53934

Document

Document number
E8-21006
Federal Register citation
73 FR 53934
CFR reference
26 CFR 1
Type
Rule
Action
Final regulations and removal of temporary regulations.
Category
tax-irs
Sub-agency
IRS
Publication date
2008-09-17
Effective date
2008-09-17
Treasury docket
TD 9424

Abstract

This document contains final regulations under sections 358, 362(e)(2), and 1502 of the Internal Revenue Code (Code). The regulations apply to corporations filing consolidated returns, and corporations that enter into certain tax-free reorganizations. The regulations provide rules for determining the tax consequences of a member's transfer (including by deconsolidation and worthlessness) of loss shares of subsidiary stock. In addition, the regulations provide that section 362(e)(2) generally does not apply to transactions between members of a consolidated group. Finally, the regulations conform or clarify various provisions of the consolidated return regulations, including those relating to adjustments to subsidiary stock basis.

Source

Authoritative
Federal Register document
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