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  <FDSYS>
    <CFRTITLE>26</CFRTITLE>
    <CFRTITLETEXT>Internal Revenue</CFRTITLETEXT>
    <VOL>11</VOL>
    <DATE>2008-04-01</DATE>
    <ORIGINALDATE>2008-04-01</ORIGINALDATE>
    <COVERONLY>false</COVERONLY>
    <TITLE>Loss carryforwards.</TITLE>
    <GRANULENUM>1.1374-5</GRANULENUM>
    <HEADING>Section 1.1374-5</HEADING>
    <ANCESTORS>
      <PARENT HEADING="Title 26" SEQ="4">Internal Revenue</PARENT>
      <PARENT HEADING="CHAPTER I" SEQ="3">INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY (CONTINUED)</PARENT>
      <PARENT HEADING="SUBCHAPTER A" SEQ="2">INCOME TAX (CONTINUED)</PARENT>
      <PARENT HEADING="PART 1" SEQ="1">INCOME TAXES</PARENT>
      <PARENT HEADING="" SEQ="0">Small Business Corporations and Their Shareholders</PARENT>
    </ANCESTORS>
  </FDSYS>
  <SECTION>
    <SECTNO>§ 1.1374-5</SECTNO>
    <SUBJECT>Loss carryforwards.</SUBJECT>
    <P>(a) <E T="03">In general.</E> The loss carryforwards allowed as deductions against net recognized built-in gain under section 1374(b)(2) are allowed only to the extent their use is allowed under the rules applying to C corporations. Any other loss carryforwards, such as charitable contribution carryforwards under section 170(d)(2), are not allowed as deductions against net recognized built-in gain.</P>
    <P>(b) <E T="03">Example.</E> The rules of this section are illustrated by the following example.
    </P>
    <EXAMPLE>
      <HD SOURCE="HED">Example: Section 382 limitation.</HD>
      <P>X is a C corporation that has an ownership change under section 382(g)(1) on January 1, 1994. On that date, X has a fair market value of $500,000, NOL carryforwards of $400,000, and a net unrealized built-in gain under section 382(h)(3)(A) of $0. Assume X's section 382 limitation under section 382(b)(1) is $40,000. X elects to become an S corporation on January 1, 1998. On that date, X has NOL carryforwards of $240,000 (having used $160,000 of its pre-change net operating losses in its 4 preceding taxable years) and a section 1374 net unrealized built-in gain of $250,000. In 1998, X has net recognized built-in gain of $100,000. X may use $40,000 of its NOL carryforwards as a deduction against its $100,000 net recognized built-in gain, because X's section 382 limitation is $40,000.</P>
    </EXAMPLE>
    <CITA>[T.D. 8579, 59 FR 66469, Dec. 27, 1994]</CITA>
  </SECTION>
</CFRGRANULE>
