Any excess of pre-adjustment alternative minimum taxable income over adjusted current earnings that is not allowed as a negative adjustment for the taxable year because of the limitation in this paragraph (a)(2)(ii) is not applied to reduce any positive adjustment in any other taxable year.
Year | Pre-adjustment alternative minimum taxable income | Adjusted current earnings |
1990 | $800,000 | $700,000 |
1991 | 600,000 | 900,000 |
1992 | 500,000 | 400,000 |
1993 | 500,000 | 100,000 |
Year | Negative adjustment | Positive adjustment |
1990 | 0 | 0 |
1991 | 0 | $225,000 |
1992 | $75,000 | 0 |
1993 | 150,000 | 0 |
Thus, the recovery period begins on the first day of the first taxable year beginning after December 31, 1989, and ends on the last day of the recovery period that would have applied had the recovery period for the property originally been determined under section 168(g). In determining the recovery period that would have applied, the property is deemed placed in service on the date it was considered placed in service under the depreciation convention that would have applied to the property under section 168(d).
Example. Corporation X, a calendar-year taxpayer, purchases and places in service on August 1, 1987, computer-based telephone central office switching equipment. This is the only item of depreciable property X places in service during 1987. Thus, the applicable convention under section 168(d) is the half-year convention. As of December 31, 1989, the adjusted basis of the property used in computing alternative minimum taxable income is $42,000. The recovery period that would have applied to the property under section 168(g)(2) is 9.5 years (from July 1, 1987 to December 31, 1996). Thus, the recovery period for computing adjusted current earnings under section 56(g)(4)(A)(ii) and this paragraph (b)(2) begins on January 1, 1990, and ends on December 31, 1996. X's 1990 depreciation deduction for computing adjusted current earnings is $6,000, determined under the straight-line method by dividing $42,000 (adjusted basis) by 7 (recovery period).
Example. Corporation Y, a calendar-year taxpayer, purchases and places in service on December 1, 1986, computer-based telephone central office switching equipment. The depreciation convention that would have applied to this property under section 168(d) (without regard to section 168(d)(3)) is the half-year convention. As of December 31, 1989, the adjusted basis of the property used in computing taxable income is $21,000. The recovery period for the property under section 168(g)(2) is 9.5 years (from July 1, 1986 to December 31, 1995). Thus, the recovery period for computing adjusted current earnings under section 56(g)(4)(A)(iii) and this paragraph (b)(3) begins on January 1, 1990, and ends on December 31, 1995. Y's 1990 depreciation deduction for computing adjusted current earnings is $3,500, determined under the straight-line method by dividing $21,000 (adjusted basis) by 6 (recovery period).
Year | Cumulative premiums paid | Year-end net surrender value |
1987 | $2,200 | $2,420 |
1988 | 4,400 | 5,082 |
1989 | 6,600 | 8,010 |
1990 | 8,800 | 11,231 |
1991 | 11,000 | 14,774 |
Items described in paragraph (c)(1) of this section must be included in earnings and profits (and therefore in adjusted current earnings) even if they are not identified in this paragraph (c)(6). The Commissioner may identify additional items described in paragraph (c)(1) in other published guidance.
The Commissioner may identify additional items described in this paragraph (c)(7) in other published guidance.
Items described in paragraph (d)(1) of this section are not taken into account in computing earnings and profits (and thus are not deductible in computing adjusted current earnings) even if they are not identified in this paragraph (d)(3). The Commissioner may identify additional items described in paragraph (d)(1) of this section in other published guidance.
The Commissioner may identify additional items described in this paragraph (d)(4) in other published guidance.
1989 | 1990 | 1991 | 1992 | |
Ending inventory: | ||||
A. FIFO | 1 $500 | $360 | $560 | $600 |
B. LIFO | 2 300 | 180 | 320 | 440 |
LIFO recapture amount: | ||||
A-B | 200 | 180 | 240 | 160 |
Change in LIFO recapture amount and adjustment under paragraph (f)(3) | (20) | 60 | (80) |
1 Beginning FIFO inventory amount under paragraph (f)(3)(ii).
2 Beginning LIFO inventory amount under paragraph (f)(3)(ii).
Asset | Adjusted basis for computing taxable income | Adjusted basis for computing adjusted current earnings | Fair market value |
x | $45 | $50 | $50 |
y | 55 | 60 | 30 |
z | 10 | 10 | 20 |
$110 | $120 | $100 |
For purposes of computing taxable income, L has a $500 million net operating loss carryforward to the taxable year in which the sale occurs. Therefore, L is a loss corporation. As a result of the transfer of shares of L from A to B, L has had an ownership change.
Asset | New adjusted basis |
x | $50 |
y | 30 |
z | 20 |
L must use these new adjusted bases for all purposes in determining adjusted current earnings, including computing depreciation and any gain or loss on disposition.
Example.
1987 | 1988 | 1989 | |
Beginning LIFO inventory | $3,000 | $4,000 | $5,000 |
Purchases and other costs | 9,000 | 9,000 | 9,000 |
Ending LIFO inventory | (4,000) | (5,000) | (6,000) |
Cost of goods sold | 8,000 | 8,000 | 8,000 |
1987 | 1988 | 1989 | |
Section 168 depreciation | $1,800 | $1,800 | $1,800 |
Section 56(a)(1) depreciation | (900) | (900) | (900) |
Depreciation difference | 900 | 900 | 900 |
Portion of difference capitalized in the increase in inventory | (100) | (100) | (100) |
Adjustment required under section 56(a)(1) | 800 | 800 | 800 |
Example. Corporation A, a calendar year taxpayer, incurs $100 of intangible drilling costs on January 1, 1994 and as a result of these intangible drilling costs A claims a deduction under section 56(h) of $40. Assume that $20 of A's deduction under section 56(h) is attributable to the adjustment under paragraph (f)(1) of this section. A must reduce by $20 the amount of intangible drilling costs to be amortized under paragraph (f)(1) of this section in 1995 through 1998 (the balance of the 60-month amortization period).
26 C.F.R. §1.56(g)-1