plus the amount of the taxpayer's stock option item of tax preference (as described in § 1.57-1(f) ).
The amount determined pursuant to the preceding sentence shall be increased by the amount, if any, that such reduction is attributable to that portion of such a net operating loss described in section 56(b)(1)(B) and § 1.56A-2(a)(2) (relating to excess tax preferences).
Gross income (all business income) | $120,000 |
Deductions: | |
Nonbusiness deductions | 30,000 |
Items of tax preference (excess accelerated depreciation on real property held in taxpayer's business) | 80,000 |
Other business deductions | 50,000 |
Based on the above figures, the taxpayer has a net operating loss of $10,000 (business deductions of $130,000 less business income of $120,000, the nonbusiness deductions having been disallowed by reason of section 172(d)(4)). The limitation on the amount treated as items of tax preference is computed as follows:
Tax preferences | $80,000 | ||
Net operating loss | $10,000 | ||
Recomputed income or loss: | |||
Gross income | $120,000 | ||
Deductions other than tax preference items | 80,000 | ||
Recomputed income | 40,000 | ||
Sum of net operating loss and recomputed income | 50,000 | ||
Stock options preference | 0 | ||
Limitation | 50,000 |
Thus, the minimum tax computed under section 56(a) would be 10 percent of $20,000 (items of tax preference of $50,000 less the minimum tax exemption of $30,000), $1,000 of which would be deferred tax liability pursuant to section 56(b).
Tax preferences | $80,000 | ||
Net operating loss | $90,000 | ||
Recomputed income or loss: | |||
Gross income | $120,000 | ||
Deductions other than tax preference items | 160,000 | ||
(40,000) | |||
Disallowance of nonbusiness deductions under sec. 172(d) | 30,000 | ||
Recomputed loss | 10,000 | ||
Net operating loss less recomputed loss | 80,000 | ||
Stock options preference | 0 | ||
Limitation | 80,000 |
Thus, the minimum tax computed under section 56(a) would be 10 percent of $50,000 (items of tax preference of $80,000 less the minimum tax exemption of $30,000), all of which will be deferred tax liability pursuant to section 56(b).
Gross income (all from business): | |||
Ordinary | $50,000 | ||
Net section 1201 gains | 120,000 | ||
Deductions: | |||
Items of tax preference: | |||
Excess amortization of certified pollution control facilities | $45,000 | ||
Capital gains deduction | 60,000 | 105,000 | |
Other business deductions | 75,000 |
In addition, the taxpayer has a $55,000 item of tax preference resulting from qualified stock options. Based on the above figures, the taxpayer has no taxable income and no net operating loss as the capital gains deduction is disallowed in determining the net operating loss pursuant to section 172(d). The limitation on the amount treated as items of tax preference is computed as follows:
Tax preferences | $160,000 | ||
Net operating loss | 0 | ||
Recomputed income or loss: | |||
Gross income | $170,000 | ||
Deductions other than tax preference items | 75,000 | ||
Recomputed income | $95,000 | ||
Plus: Stock options preference | 55,000 | ||
Limitation | 150,000 |
Thus, the minimum tax computed under section 56 would be 10 percent of $120,000 (items of tax preference of $150,000 less the minimum tax exemption of $30,000).
Gross income-1970 | $170,000 | |
Deductions: | ||
Capital gains deduction disallowed business deductions | $120,000 | 120,000 |
Taxable income for section 172(b)(2) | 50,000 |
Thus, the 1969 net operating loss which remains as a carryover to 1971 is $30,000. Pursuant to paragraph (b)(2) of this section, the limitation on the amount treated as items of tax preference is computed as follows:
Items of tax preference computed with regard to § 1.57-4(b)(1) (per example (3)) | $150,000 | |
Less: Lesser of capital gains deduction ($60,000) or amount of reduction in carryover due to its disallowance ($50,000) | 50,000 | |
Limitation | 100,000 |
Thus, the minimum tax computed under section 56 would be 10 percent of $70,000 (items of tax preference of $100,000 less the minimum tax exemption of $30,000).
Gross income (all from business): | ||
Ordinary | $50,000 | |
Net section 1201 gain | 40,000 | |
$90,000 | ||
Deductions: | ||
Capital gains deduction | 20,000 | |
Medical expenses ($4,100 actually paid but allowable only to the extent in excess of 3 percent of adjusted gross income of $70,000) | 2,000 | |
Other itemized deductions | 40,000 | |
62,000 | ||
Taxable income (before net operating loss deduction) | 28,000 |
In addition, the taxpayer has an item of tax preference of $35,000 resulting from qualified stock options. In 1973, the taxpayer has a net operating loss of $60,000 (no portion of which is attributable to excess tax preferences pursuant to § 1.56A-2 ) which is carried back to 1970 resulting in no taxable income in 1970. In order to determine the amount of the 1973 net operating loss which remains as a carryover to 1971, the 1970 taxable income is redetermined, in accordance with section 172(b)(2) and the regulations thereunder, as follows:
Gross income | $90,000 | |
Deductions: | ||
Capital gains deduction disallowed | ||
Medical expenses ($4,100 actually paid but allowable only to the extent in excess of 3 percent of adjusted gross income of $90,000) | $1,400 | |
Other itemized deductions | 40,000 | |
$41,400 | ||
Taxable income for section 172(b)(2) | 48,600 |
The limitation on the amount treated as items of tax preference is computed as follows:
Items of tax preference: | ||
Capital gains | $20,000 | |
Stock options | 35,000 | |
55,000 | ||
Less: | ||
Lesser of capital gains deduction ($20,000) or amount of reduction in carryover due to its disallowance ($20,600) | (20,000) | |
Limitation | 35,000 |
Thus, the minimum tax for 1970 under section 56 would be 10 percent of $5,000 (items of tax preference of $35,000 less the minimum tax exemption of $30,000).
Items of tax preference computed without regard to this section | $55,000 | |
Less: Lesser of capital gains deduction ($20,000) or amount of reduction in carryover due to its disallowance ($17,000) | (17,000) | |
Limitation | 38,000 |
Thus, the minimum tax for 1970 under section 56 would be 10 percent of $8,000 (items of tax preference of $38,000 less the minimum tax exemption of $30,000).
Gross income (all from business): | ||
Ordinary | $100,000 | |
Net section 1201 gains | 120,000 | |
$220,000 | ||
Deductions: | ||
Items of tax preference: | ||
Excess amortization of certified pollution control facilities | 45,000 | |
Capital gains deduction | 60,000 | |
105,000 | ||
Other business deductions | 75,000 | |
$180,000 | ||
Taxable income (before net operating loss deduction) | 40,000 |
In 1972, the taxpayer had a net operating loss of $70,000 which is carried forward to 1973; $20,000 of this net operating loss is attributable to excess tax preferences. In order to determine the amount of the 1972 net operating loss which remains as a carryover to 1974, the 1973 taxable income is redetermined, in accordance with section 172(b)(2) and the regulations thereunder, as follows:
Gross income | $220,000 | |
Deductions: | ||
Capital gains deduction | Disallowed | |
Business deductions | 120,000 | |
Taxable income per section 172(b)(2) | 100,000 |
In this case, the $60,000 increase in the 1972 taxable income as redetermined and the $30,000 decrease in the amount of the 1973 net operating loss remaining as a carryover to 1974 (i.e., the remaining 1972 net operating loss after an initial decrease of $40,000 resulting from the 1973 taxable income before redetermination) is entirely attributable to the disallowance of the capital gains deduction. The limitation on the amount treated as items of tax preference is computed as follows:
Items of tax preference computed without regard to this section: | ||
Capital gains | $60,000 | |
Excess amortization of certified pollution control facilities | 45,000 | |
105,000 | ||
Less: Lesser of capital gains deduction (60,000) or amount of reduction in carryover due to its disallowance ($30,000) | (30,000) | |
75,000 | ||
Plus: Amount of reduction of carryover (due to disallowance of capital gains deduction) attributable to excess tax preferences | 20,000 | |
Limitation | 95,000 |
26 C.F.R. §1.57-4