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Industry: Email Alert RSS FeedProposed consolidated return stock basis and E & P systems
Tax Executive, The, Jan-Feb, 1993 by James C. Warner
The current consolidated return stock basis system (Treas. Reg. [sections] 1.1502-32 and related provisions) provides rules for adjusting the basis of the stock of a subsidiary (S) by another member (P). The starting point for adjusting P's S stock basis is S's undistributed earnings and profits (E&P), or deficit thereof, for the consolidated return year (CRY). This adjustment generally reflects amounts recognized by S and taken into account in determining consolidated taxable income and amounts distributed out of current E&P by S to P. The purpose of the adjustment is (1) to prevent these items from being recognized a second time upon P's disposition of its S stock and (2) to cause P to recapture certain losses recognized by S when P has a negative S stock basis (a so-called excess loss account). The adjustment for E&P also takes into account S's tax-exempt income and noncapital, nondeductible expenses in order to prevent these items from resulting in income, gain, or loss from the disposition of P's S stock.(1) *
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In a Notice of Proposed Rulemaking (CO-30-92, 1992-48 I.R.B. 27), the Department of the Treasury and the Internal Revenue Service proposed amendments to the stock basis system that would delink it from E&P and create a new E&P system. This article summarizes and explains the most important aspects of the proposed amendments.(2) Part I.A explains Prop. Reg. [sections] 1.1502-32. The principal differences between the current and proposed rules are, follows:
* The proposed rules generally would use S's taxable
income (or loss), adjusted for tax-exempt income and
noncapital, nondeductible expenses -- instead of S's
current E&P (or deficit thereof) -- as the starting
point for making basis adjustments. Because current
law requires similar adjustments to convert taxable
income to current E&P -- and section 1503(e) of the
Internal Revenue Code already requires that depreciation
and certain other E&P adjustments to taxable
income be ignored in computing stock basis -- use of
the proposed adjusted taxable income concept is not
intended to alter materially stock basis adjustments.
* The proposed negative adjustments to account for S's
section 301 distributions (including nondividend distributions
now addressed by Treas. Reg. [sections] 1.1502-14
rather than Treas. Reg. [sections] 1.1502-32) would not depend
on any assumptions regarding whether the distribution
was out of E&P previously reflected in P's S
stock basis. This could adversely affect consolidated
groups that have not distributed S's E&P accumulated
in an affiliated but separate return year.
Part I.B discusses a number of special rules contained in Prop. Reg. [sections] 1.1502-32 and 1.1502-19 that are designed to --
* correct certain anomalies in
the timing of basis adjustments
(especially section 332
liquidations of lower-tier
subsidiaries);
* cure problems in the allocation
of adjustments between
preferred and common stock
(especially preferred dividends
in arrears paid out of
current E&P);
* impose an annual reporting
requirement for stock basis
adjustments;
* narrow the circumstances
under which P would recapture
any S excess loss account
because of S's becoming
worthless; and
* eliminate P's election to reduce an excess loss account
in exchange for reducing its basis in other S stock.(3)
Part I.C analyzes the effective date of the proposed stock basis system. The proposed rules generally would apply to determinations of stock basis and excess loss accounts on or after the date the final rules are filed with the Federal Register; when applicable, however, the rules apply retroactively. Because the proposed rules could apply retroactively to all CRYs (even pre-1966 CRYs for which stock basis was adjusted for losses but not for income), consolidated groups with older subsidiaries may be benefitted by the proposed changes.
Part II.A-D analyzes Prop. Reg. [sections] 1.1502-33, which would create a separate E&P system. These rules would --
* tier up E&P of S to P, directly rather than by treating
an investment adjustment to P's S stock basis as E&P'
of P;
* restate the effects of the allocation of federal taxes as
E&P;
* replace the anti-dividend stripping rules that had
been adopted in 1988 to replace earlier overreaching
rules(4); and
* modify the E&P effects of certain group structure
changes.
Part II.E addresses the effective date of the new E&P system. The proposed E&P rules generally would apply with respect to determinations of E&P on or after the date the final rules are filed with the Federal Register.
I. Proposed Stock Basis System
A. Separating Stock Basis Adjustments From Current Earnings and Profits
1. Current Rules and Reasons for Change. Under Treas. Reg. [sections] 1.1502-32, changes in P's S stock basis depend primarily on "investment adjustments" for S's undistributed E&P (or deficit thereof) for the current year. Other investment adjustments prevent P's S stock basis from being reduced by S's losses until the losses are absorbed by the P group. A negative investment adjustment generally, but not always, is also made for a dividend paid to P out of S's accumulated E&P. Whether a negative adjustment is made depends on whether the distributed earnings are deemed reflected in P's S stock basis. (See Chart 1.) No negative adjustment is made, for example, for a dividend out of (1) E&P accumulated in pre-1966 CRYs (because the investment adjustment system was not in effect prior to 1966 to provide for positive stock basis adjustments), and (2) certain pre-consolidation E&P accumulated when P and S were affiliated (because such E&P generally could have been distributed before consolidation without a tax cost or basis reduction).
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