[Code of Federal Regulations]
[Title 26, Volume 9]
[Revised as of April 1, 2002]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.904(f)-12]

[Page 729-733]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1--INCOME TAXES--Table of Contents
 
Sec. 1.904(f)-12  Transition rules.

    (a) Recapture in years beginning after December 31, 1986, of overall 
foreign losses incurred in taxable years beginning before January 1, 
1987--(1) In general. If a taxpayer has a balance in an overall foreign 
loss account at the end of its last taxable year beginning before 
January 1, 1987 (pre-effective date years), the amount of that balance 
shall be recaptured in subsequent years by recharacterizing income 
received in the income category described in section 904(d) as in effect 
for taxable years beginning after December 31, 1986 (post-effective date 
years), that is analogous to the income category for which the overall 
foreign loss account was established, as follows:
    (i) Interest income as defined in section 904(d)(1)(A) as in effect 
for pre-effective date taxable years is analogous to passive income as 
defined in section 904(d)(1)(A) as in effect for post-effective date 
years;
    (ii) Dividends from a DISC or former DISC as defined in section 
904(d)(1)(B) as in effect for pre-effective date taxable years is 
analogous to dividends from a DISC or former DISC as defined in section 
904(d)(1)(F) as in effect for post-effective date taxable years;
    (iii) Taxable income attributable to foreign trade income as defined 
in section 904(d)(1)(C) as in effect for pre-effective date taxable 
years is analogous to taxable income attributable to foreign trade 
income as defined in section

[[Page 730]]

904(d)(1)(G) as in effect for post-effective date years;
    (iv) Distributions from a FSC (or former FSC) as defined in section 
904(d)(1)(D) as in effect for pre-effective date taxable years is 
analogous to distributions from a FSC (or former FSC) as defined in 
section 904(d)(1)(H) as in effect for post-effective date taxable years;
    (v) For general limitation income as described in section 
904(d)(1)(E) as in effect for pre-effective date taxable years, see the 
special rule in paragraph (a)(2) of this section.
    (2) Rule for general limitation losses--(i) In general. Overall 
foreign losses incurred in the general limitation category of section 
904(d)(1)(E), as in effect for pre-effective date taxable years, that 
are recaptured in post-effective date taxable years shall be recaptured 
from the taxpayer's general limitation income, financial services 
income, shipping income, and dividends from each noncontrolled section 
902 corporation. If the sum of the taxpayer's general limitation income, 
financial services income, shipping income and dividends from each 
noncontrolled section 902 corporation for a taxable year subject to 
recapture exceeds the overall foreign loss to be recaptured, then the 
amount of each type of separate limitation income that will be treated 
as U.S. source income shall be determined as follows:
[GRAPHIC] [TIFF OMITTED] TC07OC91.043


This recapture shall be made after the allocation of separate limitation 
losses pursuant to section 904(f)(5)(B) and before the 
recharacterization of post-effective date separate limitation income 
pursuant to section 904(f)(5)(C).
    (ii) Exception. If a taxpayer can demonstrate to the satisfaction of 
the district director that an overall foreign loss in the general 
limitation category of section 904(d)(1)(E), as in effect for pre-
effective date taxable years, is attributable, in sums certain, to 
losses in one or more separate categories of section 904(d)(1) 
(including for this purpose the passive income category and the high 
withholding tax interest category), as in effect for post-effective date 
taxable years, then the taxpayer may recapture the loss (in the amounts 
demonstrated) from those separate categories only.
    (3) Priority of recapture of overall foreign losses incurred in pre-
effective date taxable years. An overall foreign loss incurred by a 
taxpayer in pre-effective date taxable years shall be recaptured to the 
extent thereof before the taxpayer recaptures an overall foreign loss 
incurred in a post-effective date taxable year.
    (4) Examples. The following examples illustrate the application of 
this paragraph (a).

    Example 1. X corporation is a domestic corporation which operates a 
branch in Country Y. For its taxable year ending December 31, 1988, X 
has $800 of financial services income, $100 of general limitation income 
and $100 of shipping income. X has a balance of $100 in its general 
limitation overall foreign loss account which resulted from an overall 
foreign loss incurred during its 1986 taxable year. X is unable to 
demonstrate to which of the income categories set forth in section 
904(d)(1) as in effect for post-effective date taxable years the loss is 
attributable. In addition, X has a balance of $100 in its shipping 
overall foreign loss account attributable to a shipping loss incurred 
during its 1987 taxable year. X has no other overall foreign loss 
accounts. Pursuant to section 904(f)(1), the full amount in each of X 
corporation's overall foreign loss accounts is subject to recapture 
since $200 (the sum of those amounts) is less than 50% of X's foreign 
source taxable income for its 1988 taxable year, or $500. X's overall 
foreign loss incurred during its 1986 taxable year is recaptured before 
the overall foreign loss incurred during its 1987 taxable year, as 
follows: $80 ($100x800/1000) of X's financial services income, $10 
($100x100/1000) of

[[Page 731]]

X's general limitation income, and $10 (100x100/1000) of X's shipping 
income will be treated as U.S. source income. The remaining $90 of X 
corporation's 1988 shipping income will be treated as U.S. source income 
for the purpose of recapturing X's 100 overall foreign loss attributable 
to the shipping loss incurred in 1987. $10 remains in X's shipping 
overall foreign loss account for recapture in subsequent taxable years.
    Example 2. The facts are the same as in Example 1 except that X has 
$800 of financial services income, $100 of general limitation income, a 
$100 dividend from a noncontrolled section 902 corporation and a ($100) 
shipping loss for its taxable year ending December 31, 1988. Separate 
limitation losses are allocated pursuant to the rules of section 
904(f)(5) before the recapture of overall foreign losses. Therefore, the 
($100) shipping loss incurred by X will be allocated to its separate 
limitation income as follows: $80 ($100x800/1000) will be allocated to 
X's financial services income, $10 ($100x100/1000) will be allocated to 
its general limitation income and $10 ($100x100/1000) will be allocated 
to X's dividend from the noncontrolled section 902 corporation. 
Accordingly, after allocation of the 1988 shipping loss, X has $720 of 
financial services income, $90 of general limitation income, and a $90 
dividend from the noncontrolled section 902 corporation. Pursuant to 
section 904(f)(1), the full amount in each of X corporation's overall 
foreign loss accounts is subject to recapture since $200 (the sum of 
those amounts) is less than 50% of X's net foreign source taxable income 
for its 1988 taxable year, or $450. X's overall foreign loss incurred 
during its 1986 taxable year is recaptured as follows: $80 ($100x720/
900) of X's financial services income, $10 ($100x90/900) of its general 
limitation income and $10 ($100x90/900) of its dividend from the 
noncontrolled section 902 corporation will be treated as U.S. source 
income. Accordingly, after application of section 904(f), X has $100 of 
U.S. source income, $640 of financial services income, $80 of general 
limitation income and a $80 dividend from the noncontrolled section 902 
corporation for its 1988 taxable year. X must establish a separate 
limitation loss account for each portion of the 1988 shipping loss that 
was allocated to its financial services income, general limitation 
income and dividends from the noncontrolled section 902 corporation. X's 
overall foreign loss account for the 1986 general limitation loss is 
reduced to zero. X still has a $100 balance in its overall foreign loss 
account that resulted from the 1987 shipping loss.
    Example 3. Y is a domestic corporation which has a branch operation 
in Country Z. For its 1988 taxable year, Y has $5 of shipping income, 
$15 of general limitation income and $100 of financial services income. 
Y has a balance of $100 in its general limitation overall foreign loss 
account attributable to its 1986 taxable year. Y has no other overall 
foreign loss accounts. Pursuant to section 904(f)(1), $60 of the overall 
foreign loss is subject to recapture since 50% of Y's foreign source 
income for 1988 is less than the balance in its overall foreign loss 
account. Y can demonstrate that the entire $100 overall foreign loss was 
attributable to a shipping limitation loss incurred in 1986. 
Accordingly, only Y's $5 of shipping limitation income received in 1988 
will be treated as U.S. source income, Because Y can demonstrate that 
the 1986 loss was entirely attributable to a shipping loss, none of Y's 
general limitation income or financial services income received in 1988 
will be treated as U.S. source income.
    Example 4. The facts are the same as in Example 3 except that Y can 
only demonstrate that $50 of the 1986 overall foreign loss account was 
attributable to a shipping loss incurred in 1986. Accordingly, Y's $5 of 
shipping limitation income received in 1988 will be treated as U.S. 
source income. The remaining $50 of the 1986 overall foreign loss that Y 
cannot trace to a particular separate limitation will be recaptured and 
treated as U.S. source income as follows: $43 ($50x100/115) of Y's 
financial services income will be treated as U.S. source income and $7 
($50x15/115) of Y's general limitation income will be treated as U.S. 
source income. Y has $45 remaining in its overall foreign loss account 
to be recaptured from shipping income in a future year.

    (b) Treatment of overall foreign losses that are part of net 
operating losses incurred in pre-effective date taxable years which are 
carried forward to post-effective date taxable years--(1) Rule. An 
overall foreign loss that is part of a net operating loss incurred in a 
pre-effective date taxable year which is carried forward, pursuant to 
section 172, to a post-effective date taxable year will be carried 
forward under the rules of section 904(f)(5) and the regulations under 
that section. See also Notice 89-3, 1989-1 C.B. 623. For this purpose 
the loss must be allocated to income in the category analogous to the 
income category set forth in section 904(d) as in effect for pre-
effective date taxable years in which the loss occurred. The analogous 
category shall be determined under the rules of paragraph (a) of this 
section.
    (2) Example. The following example illustrates the rule of paragraph 
(b)(1) of this section.

    Example. Z is a domestic corporation which has a branch operation in 
Country D. For its taxable year ending December 31, 1988, Z has

[[Page 732]]

$100 of passive income and $200 of general limitation income. Z also has 
a $60 net operating loss which was carried forward pursuant to section 
172 from its 1986 taxable year. The net operating loss resulted from an 
overall foreign loss attributable to the general limitation income 
category. Z can demonstrate that the loss is a shipping loss. Therefore, 
the net operating loss will be treated as a shipping loss for Z's 1988 
taxable year. Pursuant to section 904(f)(5), the shipping loss will be 
allocated as follows: $20 ($60x100/300) will be allocated to Z's passive 
income and $40 ($60x200/300) will be allocated to Z's general limitation 
income. Accordingly, after application of section 904(f), Z has $80 of 
passive income and $160 of general limitation income for its 1988 
taxable year. Although no addition to Z's overall foreign loss account 
for shipping income will result from the NOL carry forward, shipping 
income earned by Z in subsequent taxable years, will be subject to 
recharacterization as a passive income and general limitation income 
pursuant to the rules set forth in section 904(f)(5).

    (c) Treatment of overall foreign losses that are part of net 
operating losses incurred in post-effective date taxable years which are 
carried back to pre-effective date taxable years--(1) Allocation to 
analogous income category. An overall foreign loss that is part of a net 
operating loss incurred by the taxpayer in a post-effective date taxable 
year which is carried back, pursuant to section 172, to a pre-effective 
date taxable year shall be allocated first to income in the pre-
effective date income category analogous to the income category set 
forth in section 904(d) as in effect for post-effective date taxable 
years in which the loss occurred. Except for the general limitation 
income category, the pre-effective date income category that is 
analogous to a post-effective date income category shall be determined 
under paragraphs (a)(1) (i) through (iv) of this section. The general 
limitation income category for pre-effective date years shall be treated 
as the income category that is analogous to the post-effective date 
categories for general limitation income, financial services income, 
shipping income, dividends from each noncontrolled section 902 
corporation and high withholding tax interest income. If the net 
operating loss resulted from separate limitation losses in more than one 
post-effective date income category and more than one loss is carried 
back to pre-effective date general limitation income, then the losses 
shall be allocated to the pre-effective date general limitation income 
based on the following formula:
[GRAPHIC] [TIFF OMITTED] TC07OC91.044

    (2) Allocation to U.S. source income. If an overall foreign loss is 
carried back to a pre-effective date taxable year and the loss exceeds 
the foreign source income in the analogous category for the carry back 
year, the remaining loss shall be allocated against U.S. source income 
as set forth in Sec. 1.904(f)-3. The amount of the loss that offsets 
U.S. source income must be added to the taxpayer's overall foreign loss 
account. An addition to an overall foreign loss account resulting from 
the carry back of a net operating loss incurred by a taxpayer in a post-
effective date taxable year shall be treated as having been incurred by 
the taxpayer in the year in which the loss arose and shall be subject to 
recapture pursuant to section 904(f) as in effect for post-effective 
date taxable years.
    (3) Allocation to other separate limitation categories. To the 
extent that an overall foreign loss that is carried back as part of a 
net operating loss exceeds the separate limitation income to which it is 
allocated and the U.S. source income of the taxpayer for the

[[Page 733]]

taxable year to which the loss is carried, the loss shall be allocated 
pro rata to other separate limitation income of the taxpayer for the 
taxable year. However, there shall be no recharacterization of separate 
limitation income pursuant to section 904(f)(5) as a result of the 
alloction of such a net operating loss to other separate limitation 
income of the taxpayer.
    (4) Examples. The following examples illustrate the rules of 
paragraph (c) of this section.

    Example 1. X is a domestic corporation which has a branch operation 
in Country A. For its taxable year ending December 31, 1987, X has a $60 
net operating loss which is carried back pursuant to section 172 to its 
taxable year ending December 31, 1985. The net operating loss resulted 
from a shipping loss; X had no U.S. source income in 1987. X had $20 of 
general limitation income, $40 of DISC limitation income and $10 of U.S. 
source income for its 1985 taxable year. The $60 NOL is allocated first 
to X's 1985 general limitation income to the extent thereof ($20) since 
the general limitation income category of section 904(d) as in effect 
for pre-effective date taxable years is the income category that is 
analogous to shipping income for post-effective date taxable years. 
Therefore, X has no general limitation income for its 1985 taxable year. 
Next, pursuant to section 904(f) as in effect for pre-effective date 
taxable years, the remaining $40 of the NOL is allocated first to X's 
$10 of U.S. source income and then to $30 of X's DISC limitation income 
for its 1985 taxable year. Accordingly, X has no U.S. source income and 
$10 of DISC limitation income for its 1985 taxable year after allocation 
of the NOL. X has a $10 balance in its shipping overall foreign loss 
account which is subject to recapture pursuant to section 904(f) as in 
effect for post-effective date taxable years. X will not be required to 
recharacterize, pursuant to section 904(f)(5), subsequent shipping 
income as DISC limitation income.
    Example 2. Y is a domestic corporation which has a branch operation 
in Country B. For its taxable year ending December 31, 1987, X has a 
$200 net operating loss which is carried back pursuant to section 172 to 
its taxable year ending December 31, 1986. The net operating loss 
resulted from a ($100) general limitation loss and a ($100) shipping 
loss. Y had $100 of general limitation income and $200 of U.S. source 
income for its taxable year ending December 31, 1986. The separate 
limitation losses for 1987 are allocated pro rata to Y's 1986 general 
limitation income as follows: $50 of the ($100) general limitation loss 
($100 x 100/200) and $50 of the ($100) shipping loss ($100 x 100/200) is 
allocated to Y's $100 of 1986 general limitation income. The remaining 
$50 of Y's general limitation loss and the remaining $50 of Y's shipping 
loss are allocated to Y's 1986 U.S. source income. Accordingly, Y has no 
foreign source income and $100 of U.S. source income for its 1986 
taxable year. Y has a $50 balance in its general limitation overall 
foreign loss account and a $50 balance in its shipping overall foreign 
loss account, both of which will be subject to recapture pursuant to 
section 904(f) as in effect for post-effective date taxable years.

    (d) Recapture of FORI and general limitation overall foreign losses 
incurred in taxable years beginning before January 1, 1983. For taxable 
years beginning after December 31, 1986, and before January 1, 1991, the 
rules set forth in Sec. 1.904 (f)-6 shall apply for purposes of 
recapturing general limitation and foreign oil related income (FORI) 
overall foreign losses incurred in taxable years beginning before 
January 1, 1983 (pre-1983). For taxable years beginning after December 
31, 1990, the rules set forth in this section shall apply for purposes 
of recapturing pre-1983 general limitation and FORI overall foreign 
losses.
    (e) Recapture of pre-1983 overall foreign losses determined on a 
combined basis. The rules set forth in paragraph (a)(2) of this section 
shall apply for purposes of recapturing overall foreign losses incurred 
in taxable years beginning before January 1, 1983, that were computed on 
a combined basis in accordance with Sec. 1.904 (f)-1(c) (1).
    (f) Transition rules for taxable years beginning before December 31, 
1990. For transition rules for taxable years beginning before January 1, 
1990, see 26 CFR 1.904 (f)-13T as it appeared in the Code of Federal 
Regulations revised as of April 1, 1990.

[T.D. 8306, 55 FR 31381, Aug. 2, 1990]