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.
The latest form for Loss on Subsidiary Stock - REG-157711-02 (TD 9424 - Final) expires 2020-11-30 and can be found here.
Document Name |
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Supporting Statement A |
Approved without change |
Extension without change of a currently approved collection | 2017-07-17 | |
Approved without change |
Extension without change of a currently approved collection | 2014-04-29 | |
Approved without change |
Extension without change of a currently approved collection | 2011-02-25 | |
Approved without change |
Revision of a currently approved collection | 2008-09-19 | |
Preapproved |
New collection (Request for a new OMB Control Number) | 2008-04-03 |