CO-26-96 (Final) Regulations Under Section 382 of the Internal Revenue Code of 1986; Application of Section 382 in Short Taxable Years and With Respect to Controlled Groups
ICR 201207-1545-021
OMB: 1545-1434
Federal Form Document
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CO-26-96 (Final) Regulations
Under Section 382 of the Internal Revenue Code of 1986; Application
of Section 382 in Short Taxable Years and With Respect to
Controlled Groups
Extension without change of a currently approved collection
Section 382 limits the amount of
income that can be offset by loss carryovers after an ownership
change. These regulations provide rules for applying section 382 in
the case of short taxable years and with respect to controlled
groups.
US Code:
26
USC 382 Name of Law: Limitation on net operating loss
carryforwards and certain built-in losses following ownership
chang
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