The amount payable to the retailer or other person for services in redeeming the coupon is allowed only if the amount payable is stated on the coupon.
considered to have been received by the issuer. Nothing in section 466, however, allows deductions to be made on the basis of estimated redemptions, whether such estimates are made by either the issuer or some other party.
Years ending Dec. 31- | ||||||
1977 | 1978 | 1979 | 1980 | 1981 | 1982 | |
Facts: | ||||||
Actual coupon redemption costs in first six months | $7 | $13 | $8 | $7 | $10 | $12 |
Accounting change adjustments that increase income in year of change | 2 | |||||
Net adjustment decreasing income in year of change under sec. 481(a)(2) | 6 | |||||
Adjustment to suspense account: | ||||||
Opening balance | 11 | 7 | 10 | 11 | ||
Addition to account | 3 | 1 | ||||
Reduction to account | (4) | |||||
Opening balance for next year | 7 | 10 | 11 | |||
Amount deductible: | ||||||
Initial year adjustment | (5) | |||||
Amount of deductible as actual coupon redemptions during redemption period | 7 | 10 | 12 | |||
Adjustment for increase in suspense account | (3) | (1) | ||||
Adjustment for decrease in suspense account | 4 | |||||
Net amount deductible for the year for coupons redeemed during the redemption period | 6 | 7 | 11 |
Example. Corporation S, a calendar year taxpayer, is a wholly owned subsidiary of Corporation P, a calendar year taxpayer. On December 31, 1982, S acquires from P sustantially all of the assets used in a trade or business in which qualified disount coupons are redeemed. P had not made an election under section 466 with respect to the redemption costs of the qualified discount coupons issued in connection with that trade or business. S makes an election to use section 466 for its taxable year ending December 31, 1983, for the trade or business in which the acquired assets are used, and selects a redemption period of 6 months. Assume that P's qualified discount coupon redemption costs in the first 6 months of 1981 and 1982 were $120 and $140 respectively. Assume further that S's qualified discount coupon redemption costs in the first 6 months of 1983 were $130, and that there are no accounting change adjustments that increase income with respect to the election. S must establish a suspense account by taking into account the largest dollar amount of deductions that would have been allowed under section 466(a)(1) for the 3 immediately preceding taxable years of P, including both P's and S's experience with respect to costs actually incurred during the redemption periods relating to those years. Thus, the initial opening balance of S's suspense account is $140. S must also make an initial year adjustment of $10 ($140-$130), which S must include in income for S's taxable year ending December 31, 1983. P may not take a deduction for the qualified coupon redemptions made after December 31, 1982, that are attributable to coupons issued by P before December 31, 1982. Thus, none of the $130 qualified discount coupon redemption costs incurred by S during the first six months of 1983 may be deducted by P.
26 C.F.R. §1.466-1