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Related parties and NOLs.


IRC (Internet Relay Chat) Computer conferencing on the Internet. There are hundreds of IRC channels on numerous subjects that are hosted on IRC servers around the world. After joining a channel, your messages are broadcast to everyone listening to that channel.  section 382 limits the use of NOL NOL - Never Offline  carryforwards following an ownership change. Recently the Tax Court, in a case of first impression, had to decide how the family attribution rules Attribution Rules

A set of rules created by Canada Customs and Revenue Agency (CCRA) that prevents investors from transferring assets between family members with the intention of avoiding taxes.
 applied in a section 382 context.

When they formed Garber Industries Holding Co. Inc., Charles M. Garber Sr. owned 68% and his brother Kenneth R. Garber Sr. owned 19%. In 1996 the corporation underwent a "D" reorganization that reduced Charles' ownership to 19% and increased Kenneth's to 65%. In 1998 Kenneth sold his shares of the stock to Charles, giving him a total of 84%. On its 1998 tax return following the sale, Garber Industries used an NOL carryforward to offset current income. The IRS An abbreviation for the Internal Revenue Service, a federal agency charged with the responsibility of administering and enforcing internal revenue laws.  objected on the grounds that the NOL should be reduced pursuant to section 382 because of the deemed ownership change.

Result. For the IRS. Section 382 defines an ownership change as a more than 50% increase in ownership by 5% owners during a three-year period. (A 5% owner is an individual who owns at least 5% of the corporation's stock either directly or indirectly.)

In determining ownership, section 382 requires the use of the section 318 stock attribution rules, under which a person is deemed to own the stock of his or her family members. Siblings are not considered family, but parents, children and grandchildren are. Section 382 modifies these family attribution rules to treat all family members as one shareholder rather than separate shareholders. Garber Industries Holding Co. argued that although siblings are not related under code section 318(a)(1), they should be treated as a single shareholder headed by their parents or grandparents grandparents nplabuelos mpl

grandparents grand nplgrands-parents mpl

grandparents grand npl
. The IRS argued that since neither the parents nor grandparents of the taxpayers were alive, the brothers were not one family.

The Tax Court first had to decide whether the code language was ambiguous: It found it sufficiently ambiguous to support the positions of both the taxpayers and the IRS. It turned, therefore, to the legislative history to reach its decision.

Based on that review and prior law, the Tax Court rejected the arguments of both parties. It said the taxpayers' argument would result in a family that consisted not only of parents, children and grandchildren but also aunts, uncles and cousins--and clearly Congress could not have intended this result. The court rejected the IRS's argument on the grounds it would make the answer solely dependent on the life or death of the parents and grandparents. This also could not have been Congress's intent.

Based on its analysis of the code language and the evolution of section 382, the Tax Court concluded the rules applied only to living shareholders. A determination of a family must start with an actual shareholder. To these actual shareholders is added stock owned by their parents, children and grandchildren. As Charles and Kenneth were neither children nor grandchildren of a living shareholder, they did not constitute a family. CPAs should be aware that the decision in this case clarifies the definition of an ownership change and when section 382 will limit the use of NOL carryforwards.

* Garber Industries Holding Co. v. Commissioner, 124 TC no. 1.

Prepared by Edward J. Schnee, CPA (Computer Press Association, Landing, NJ) An earlier membership organization founded in 1983 that promoted excellence in computer journalism. Its annual awards honored outstanding examples in print, broadcast and electronic media. The CPA disbanded in 2000. , PhD, Hugh Culverhouse Hugh Franklin Culverhouse, Sr. (1919 – 1994) was the longtime owner of the Tampa Bay Buccaneers of the National Football League. Early life
A native of Birmingham, Alabama; Culverhouse attended the University of Alabama, where he was a member of Delta Kappa Epsilon
 Professor of Accounting and director, MTA (1) (Message Transfer Agent or Mail Transfer Agent) The store and forward part of a messaging system. See messaging system.

(2) See M Technology Association.

1. (messaging) MTA - Message Transfer Agent.
 program, Culverhouse School of Accountancy, University of Alabama The University of Alabama (also known as Alabama, UA or colloquially as 'Bama) is a public coeducational university located in Tuscaloosa, Alabama, USA. Founded in 1831, UA is the flagship campus of the University of Alabama System. , Tuscaloosa.
COPYRIGHT 2005 American Institute of CPA's
No portion of this article can be reproduced without the express written permission from the copyright holder.
Copyright 2005, Gale Group. All rights reserved. Gale Group is a Thomson Corporation Company.

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Title Annotation:net operating losses
Author:Schnee, Edward J.
Publication:Journal of Accountancy
Date:Jul 1, 2005
Words:547
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