T.D. 8546 - Limitations on Corporate Net Operating Loss
Extension without change of a currently approved collection
No
Regular
Approved without change
02/19/2015
12/08/2014
table that charts list comparision
Inventory as of this Action
Requested
Previously Approved
02/28/2018
36 Months From Approved
02/28/2015
2,000
0
2,000
200
0
200
0
0
0
This document contains final income tax regulations providing rules for allocating net operating loss or taxable income, and net capital loss or gain, within the taxable year in which a loss corporation has an ownership change under section 382 of the Internal Revenue Code of 1986. These regulations permit the loss corporation to elect to allocate these amounts between the period ending on the change date and the period beginning on the day after the change date as if its books were closed on the change date.
US Code:
26 USC 383
Name of Law: Special limitations on certain excess credits, etc.
US Code:
26 USC 6103
Name of Law: Confidentiality and disclosure of returns and return information
US Code:
26 USC 382
Name of Law: Limitation on net operating loss carryforwards and certain built-in losses following ownership chang
On behalf of this Federal agency, I certify that the collection of information encompassed by this request complies with 5 CFR 1320.9 and the related provisions of 5 CFR 1320.8(b)(3).
The following is a summary of the topics, regarding the proposed collection of information, that the certification covers:
(i) Why the information is being collected;
(ii) Use of information;
(iii) Burden estimate;
(iv) Nature of response (voluntary, required for a benefit, or mandatory);
(v) Nature and extent of confidentiality; and
(vi) Need to display currently valid OMB control number;
If you are unable to certify compliance with any of these provisions, identify the item by leaving the box unchecked and explain the reason in the Supporting Statement.