[Code of Federal Regulations]
[Title 26, Volume 6]
[Revised as of April 1, 2002]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.481-2]

[Page 522-528]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
DEFERRED COMPENSATION, ETC.--Table of Contents
 
Sec. 1.481-2  Limitation on tax.

    (a) Three-year allocation. Section 481(b)(1) provides a limitation 
on the tax under chapter 1 of the Internal Revenue Code for the taxable 
year of change that is attributable to the adjustments required under 
section 481(a) and Sec. 1.481-1 if the entire amount of the adjustments 
is taken into account in

[[Page 523]]

the year of change. If such adjustments increase the taxpayer's taxable 
income for the taxable year of the change by more than $3,000, then the 
tax for such taxable year that is attributable to the adjustments shall 
not exceed the lesser of the tax attributable to taking such adjustments 
into account in computing taxable income for the taxable year of the 
change under section 481(a) and Sec. 1.481-1, or the aggregate of the 
increases in tax that would result if the adjustments were included 
ratably in the taxable year of the change and the two preceding taxable 
years. For the purpose of computing the limitation on tax under section 
481(b)(1), the adjustments shall be allocated ratably to the taxable 
year of the change and the two preceding taxable years, whether or not 
the adjustments are in fact attributable in whole or in part to such 
years. The limitation on the tax provided in this paragraph shall be 
applicable only if the taxpayer used the method of accounting from which 
the change was made in computing taxable income for the two taxable 
years preceding the taxable year of the change.
    (b) Allocation under new method of accounting. Section 481(b)(2) 
provides a second alternative limitation on the tax for the taxable year 
of change under chapter 1 of the Internal Revenue Code that is 
attributable to the adjustments required under section 481(a) and 
Sec. 1.481-1 where such adjustments increase taxable income for the 
taxable year of change by more than $3,000. If the taxpayer establishes 
from his books of account and other records what his taxable income 
would have been under the new method of accounting for one or more 
consecutive taxable years immediately preceding the taxable year of the 
change, and if the taxpayer in computing taxable income for such years 
used the method of accounting from which the change was made, then the 
tax attributable to the adjustments shall not exceed the smallest of the 
following amounts:
    (1) The tax attributable to taking the adjustments into account in 
computing taxable income for the taxable year of the change under 
section 481(a) and Sec. 1.481-1;
    (2) The tax attributable to such adjustments computed under the 3-
year allocation provided in section 481(b)(1), if applicable; or
    (3) The net increase in the taxes under chapter 1 (or under 
corresponding provisions of prior revenue laws) which would result from 
allocating that portion of the adjustments to the one or more 
consecutive preceding taxable years to which properly allocable under 
the new method of accounting and from allocating the balance thereof to 
the taxable year of the change.
    (c) Rules for computation of tax. (1) The first step in determining 
whether either of the limitations described in section 481(b) (1) or (2) 
applies is to compute the increase in tax for the taxable year of the 
change that is attributable to the increase in taxable income for such 
year resulting solely from the adjustments required under section 481(a) 
and Sec. 1.481-1. This increase in tax is the excess of the tax for the 
taxable year computed by taking into account such adjustments under 
section 481(a) over the tax computed for such year without taking the 
adjustments into account.
    (2) The next step is to compute under section 481(b)(1) the tax 
attributable to the adjustments referred to in paragraph (c)(1) of this 
section for the taxable year of the change and the two preceding taxable 
years as if an amount equal to one-third of the net amount of such 
adjustments had been received or accrued in each of such taxable years. 
The increase in tax attributable to the adjustments for each such 
taxable year is the excess of the tax for such year computed with the 
allocation of one-third of the net adjustments to such taxable year over 
the tax computed without the allocation of any part of the adjustments 
to such year. For the purpose of computing the aggregate increase in 
taxes for such taxable years, there shall be taken into account the 
increase or decrease in tax for any taxable year preceding the taxable 
year of the change to which no adjustment is allocated under section 
481(b)(1) but which is affected by a net operating loss under section 
172 or by a capital loss carryback or carryover under section 1212, 
determined with reference to taxable years with respect

[[Page 524]]

to which adjustments under section 481(b)(1) are allocated.
    (3) In the event that the taxpayer satisfies the conditions set 
forth in section 481(b)(2), the next step is to determine the amount of 
the net increase in tax attributable to the adjustments referred to in 
paragraph (c)(1) of this section for:
    (i) The taxable year of the change,
    (ii) The consecutive taxable year or years immediately preceding the 
taxable year of the change for which the taxpayer can establish his 
taxable income under the new method of accounting, and
    (iii) Any taxable year preceding the taxable year of the change to 
which no adjustment is allocated under section 481(b)(2), but which is 
affected by a net operating loss or by a capital loss carryback or 
carryover determined with reference to taxable years with respect to 
which such adjustments are allocated.

The net increase in tax for the taxable years specified in subdivisions 
(i), (ii), and (iii) of this subparagraph shall be computed as if the 
amount of the adjustments for the prior taxable years to which properly 
allocable in accordance with section 481(b)(2) had been received or 
accrued, or paid or incurred, as the case may be, in such prior years 
and the balance of the adjustments in the taxable year of the change. 
The amount of tax attributable to such adjustments for the taxable years 
specified in subdivisions (i), (ii), and (iii) of this subparagraph is 
the aggregate of the differences (increases and decreases) between the 
tax for each such year computed by taking into account the allocable 
portion of the adjustments in computing taxable income and the tax 
computed without taking into account any portion of the adjustments in 
computing taxable income. Generally, where there is an increase in 
taxable income for a preceding consecutive taxable year established 
under the new method of accounting, computed without regard to 
adjustments attributable to any preceding taxable year, the amount of 
the adjustments to be allocated to each such year shall be an amount 
equal to such increase. However, where the amount of the adjustments to 
be allocated to a prior taxable year is less than the increase in 
taxable income for such year established under the new method of 
accounting, the amount of the increase in such taxable income for 
purposes of determining the increase in tax under section 481(b)(2) for 
such year shall be considered to be the amount so allocated. For 
example, if the amount of the adjustments required by section 481(a) for 
1958 (the taxable year of the change) is $60,000, and the increase in 
taxable income is determined by the taxpayer to be $40,000, $5,000, and 
$35,000, computed under the new method of accounting, for the taxable 
years 1957, 1956, and 1955, respectively, then the amount of the 
adjustments to be allocated to 1955 will be the balance of the 
adjustments, or $15,000.
    (4) The tax for the taxable year of the change shall be the tax for 
such year, computed without taking any of the adjustments referred to in 
paragraph (c)(1) of this section into account, increased by the smallest 
of the following amounts--
    (i) The amount of tax for the taxable year of the change 
attributable solely to taking into account the entire amount of the 
adjustments required by section 481(a) and Sec. 1.481-1;
    (ii) The sum of the increases in tax liability for the taxable year 
of the change and the two immediately preceding taxable years that would 
have resulted solely from taking into account one-third of the amount of 
such adjustments required for each of such years as though such amounts 
had been properly attributable to such years (computed in accordance 
with paragraph (c)(2) of this section); or
    (iii) The net increase in tax attributable to allocating such 
adjustments under the new method of accounting (computed in accordance 
with paragraph (c)(3) of this section).
    (5)(i) In the case of a change in method of accounting by a 
partnership, the adjustments required by section 481 shall be made with 
respect to the taxable income of the partnership but the limitations on 
tax under section 481(b) shall apply to the individual partners. Each 
partner shall take into account his distributive share of the 
partnership items, as so adjusted, for the taxable year of the change. 
Section 481(b)

[[Page 525]]

applies to a partner whose taxable income is so increased by more than 
$3,000 as a result of such adjustments to the partnership taxable 
income. It is not necessary for the partner to have been a member of the 
partnership for the two taxable years immediately preceding the taxable 
year of the change of the partnership's accounting method in order to 
have the limitation provided by section 481(b)(1) apply. Further, a 
partner may apply section 481(b)(2) even though he was not a member of 
the partnership for all the taxable years affected by the computation 
thereunder.
    (ii) In the case of a change in method of accounting by an electing 
small business corporation under subchapter S, chapter 1 of the Code, 
the adjustments required by section 481 shall be made with respect to 
the taxable income of such electing corporation in the year of the 
change, but the limitations on tax under section 481(b) shall apply to 
the individual shareholders. Section 481(b) applies to a shareholder of 
an electing small business corporation whose taxable income is so 
increased by more than $3,000 as a result of such adjustments to such 
corporation's taxable income. It is not necessary for the shareholder to 
have been a member of the electing small business corporation, or for 
such corporation to have been an electing small business corporation, 
for the two taxable years immediately preceding the taxable year of the 
change of the corporation's accounting method in order to have the 
limitation provided by section 481(b)(1) apply. Further, a shareholder 
may apply section 481(b)(2), even though he was not a shareholder, or 
the corporation was not an electing small business corporation, for all 
the taxable years affected by the computation thereunder.
    (6) For the purpose of the successive computations of the 
limitations on tax under section 481(b) (1) or (2), if the treatment of 
any item under the provisions of the Internal Revenue Code of 1986 (or 
corresponding provisions of prior internal revenue laws) depends upon 
the amount of gross income, adjusted gross income, or taxable income 
(for example, medical expenses, charitable contributions, or credits 
against the tax), such item shall be determined for the purpose of each 
such computation by taking into account the proper portion of the amount 
of any adjustments required to be taken into account under section 481 
in each such computation.
    (7) The increase or decrease in the tax for any taxable year for 
which an assessment of any deficiency, or a credit or refund of any 
overpayment, is prevented by any law or rule of law, shall be determined 
by reference to the tax previously determined (within the meaning 
section 1314(a) for such year.
    (8) In applying section 7807(b)(1), the provisions of chapter 1 
(other than subchapter E, relating to tax on self-employment income) and 
chapter 2 of the Internal Revenue Code of 1939 shall be treated as the 
corresponding provisions of the Internal Revenue Code of 1939.
    (d) Examples. The application of section 481(b) (1) and (2) may be 
illustrated by the following examples. Although the examples in this 
paragraph are based upon adjustments required in the case of a change in 
the over-all method of accounting, the principles illustrated would be 
equally applicable to adjustments required in the case of a change in 
method of accounting for a particular material item, provided the 
treatment of such adjustments is not specifically subject to some other 
provision of the Internal Revenue Code of 1986.

    Example (1). An unmarried individual taxpayer using the cash 
receipts and disbursements method of accounting for the calendar year is 
required by the Commissioner to change to an accrual method effective 
with the year 1958. As of January 1, 1958, he had an opening inventory 
of $11,000. On December 31, 1958, he had a closing inventory of $12,500. 
Merchandise purchases during the year amounted to $22,500, and net sales 
were $32,000. Total deductible business expenses were $5,000. There were 
no receivables or payables at January 1, 1958. The computation of 
taxable income for 1958, assuming no other adjustments, using the new 
method of accounting follows:

Net sales...........................................  ........   $32,000
Opening inventory...................................   $11,000
Purchases...........................................    22,500
                                                     -----------
   Total............................................    33,500
Less closing inventory..............................    12,500
                                                     -----------
Cost of goods sold..................................  ........    21,000
                                                               ---------
   Gross profit.....................................  ........    11,000

[[Page 526]]


Business expenses...................................  ........     5,000
                                                               ---------
  Business income...................................  ........     6,000
Personal exemption and itemized deductions..........  ........     1,600
                                                               ---------
   Taxable income...................................  ........     4,400



Under the cash receipts and disbursements method of accounting, only 
$9,000 of the $11,000 opening inventory had been included in the cost of 
goods sold and claimed as a deduction for the taxable years 1954 through 
1957; the remaining $2,000 had been so accounted for in pre-1954 years. 
In order to prevent the same item from reducing taxable income twice, an 
adjustment of $9,000 must be made to the taxable income of 1958 under 
the provisions of section 481(a) and Sec. 1.481-1. Since the change in 
method of accounting was not initiated by the taxpayer, the $2,000 of 
opening inventory which had been included in cost of goods sold in pre-
1954 years is not taken into account. Taxable income for 1958 is 
accordingly increased by $9,000 under section 481(a) to $13,400. 
Assuming that the tax on $13,400 is $4,002 and that the tax on $4,400 
(income without the adjustment) is $944, the increase in tax 
attributable to the adjustment, if taken into account for the taxable 
year of the change, would be the difference between the two, or $3,058. 
Since the adjustment required by section 481(a) and Sec. 1.481-1 
($9,000) increases taxable income by more than $3,000, the increase in 
tax for the taxable year 1958 attributable to the adjustment of $9,000 
(i.e., $3,058) may be limited under the provisions of section 481(b) (1) 
or (2). See examples (2) and (3).
    Example (2). Assume that the taxpayer in example (1) used the cash 
receipts and disbursements method of accounting in computing taxable 
income for the years 1956 and 1957 and that the taxable income for these 
years determined under such method was $4,000 and $6,000, respectively. 
The section 481(b)(1) limitation on tax with a pro rata three-year 
allocation of the $9,000 adjustment is computed as follows:

----------------------------------------------------------------------------------------------------------------
                                                                                                     Increase in
                                                   Taxable      Taxable                Assumed tax       tax
                  Taxable year                      income    income with    Assume       before    attributable
                                                    before     adjustment   total tax   adjustment       to
                                                  adjustment                                         adjustment
----------------------------------------------------------------------------------------------------------------
1956...........................................       $4,000       $7,000      $1,660         $840          $820
1957...........................................        6,000        9,000       2,300        1,360           940
1958...........................................        4,400        7,400       1,780          944           836
                                                ----------------------------------------------------------------
   Total.......................................  ...........  ...........  ..........  ...........         2,596
----------------------------------------------------------------------------------------------------------------


Since this increase in tax of $2,596 is less than the increase in tax 
attributable to the inclusion of the entire adjustment in the income for 
the taxable year of the change ($3,058), the limitation provided by 
section 481(b)(1) applies, and the total tax for 1958, the taxable year 
of the change, if section 481(b)(2) does not apply, is determined as 
follows:

Tax without any portion of adjustment..........................     $944
Increase in tax attributable to adjustment computed under          2,596
 section 481(b)(1).............................................
                                                                --------
   Total tax for taxable year of the change....................    3,540


    Example (3). (i) Assume the same facts as in example (1) and, in 
addition, assume that the taxpayer used the cash receipts and 
disbursements method of accounting in computing taxable income for the 
years 1953 through 1957; that he established his taxable income under 
the new method for the taxable years 1953, 1954, and 1957, but did not 
have sufficient records to establish his taxable income under such 
method for the taxable years 1955 and 1956. The original taxable income 
and taxable income as redetermined are as follows:

------------------------------------------------------------------------
                                        Taxable income
                                 ----------------------------  Increase
                                    Determined                    or
          Taxable year              under cash   Established  (decrease)
                                   receipts and   under new   in taxable
                                  disbursements     method      income
                                      method
------------------------------------------------------------------------
1953............................        $5,000       $7,000       $2,000
1954............................         6,000        7,000        1,000
1955............................         5,500        (\1\)   ..........
1956............................         4,000        (\1\)   ..........
1957............................         6,000       10,000        4,000
------------------------------------------------------------------------
\1\ Undetermined.


As in examples (1) and (2), the total adjustment under section 481(a) is 
$9,000. Of the $9,000 adjustment, $4,000 may be allocated to 1957, which 
is the only year consecutively preceding the taxable year of the change 
for which the taxpayer was able to establish his income under the new 
method. Since the income cannot be established under the new method for 
1956 and 1955, no allocation may be made to 1954 or 1953, even though 
the taxpayer has established his income for those years under the new 
method of accounting. The balance of $5,000 ($9,000 minus $4,000) must 
be allocated to 1958.

[[Page 527]]

    (ii) The limitation provided by section 481(b)(2) is computed as 
follows: The tax for 1957, based on taxable income of $6,000, is assumed 
to be $1,360. Under the new method, based on taxable income of $10,000, 
the tax for 1957 is assumed to be $2,640, the increase attributable to 
$4,000 of the $9,000 section 481(a) adjustment being $1,280, ($2,640 
minus $1,360). The tax for 1958, computed on the basis of taxable income 
of $4,400 (determined under the new method), is assumed to be $944. The 
tax computed for 1958 on taxable income of $9,400 ($4,400 plus the 
$5,000 adjustment allocated to 1958) is assumed to be $2,436, leaving a 
difference of $1,492 ($2,436 minus $944) attributable to the inclusion 
in 1958 of the portion of the total adjustment to be taken into account 
which could not be properly allocated to the taxable year or years 
consecutively preceding 1958.
    (iii) The tax attributable to the adjustment is determined by 
selecting the smallest of the three following amounts:

Increase in tax attributable to adjustment computed under         $2,772
 section 481(b)(2) ($1,280+$1,492).............................
Increase in tax attributable to adjustment computed under          2,596
 section 481(b)(1) (example (2))...............................
Increase in tax if the entire adjustment is taken into account     3,058
 in the taxable year of the change (example (1))...............


    The final tax for 1958 is then $3,540 computed as follows:

Tax before inclusion of any adjustment.........................     $944
Increase in tax attributable to adjustments (smallest of           2,596
 $2,772, $2,596 or $3,058).....................................
                                                                --------
   Total tax for 1958 (limited in accordance with section          3,540
   481(b)(1))..................................................


    Example (4). Assume that X Corporation has maintained its books of 
account and filed its income tax returns using the cash receipts and 
disbursements method of accounting for the years 1953 through 1957. The 
corporation secures permission to change to an accrual method of 
accounting for the calendar year 1958. The following tabulation presents 
the data with respect to the taxpayer's income for the years involved:

----------------------------------------------------------------------------------------------------------------
                                                 Taxable income under the
                                                     cash receipts and
                                                   disbursements method      Taxable                  Changes in
                                                --------------------------    income     Increase or    taxable
                                                    Before       After     established   (decrease)   income due
                      Year                       application  application     under     attributable  to changes
                                                    of net       of net      accrual      to change     in net
                                                  operating    operating      method                     loss
                                                     loss         loss                                 carryback
                                                  carryback    carryback
----------------------------------------------------------------------------------------------------------------
1953...........................................       $2,000            0        (\1\)  ............      $2,000
1954...........................................        4,000       $1,000        (\1\)  ............       3,000
1955...........................................      (5,000)  ...........       $1,000       $6,000   ..........
1956...........................................       80,000       80,000       77,000      (3,000)   ..........
1957...........................................       90,000       90,000       96,000        6,000   ..........
1958...........................................  ...........  ...........      100,000  ............  ..........
----------------------------------------------------------------------------------------------------------------
\1\ Not established.


As indicated above, taxable income for 1953 and 1954, as determined 
under the cash receipts and disbursements method of accounting, was 
$2,000 and $4,000, respectively, and after application of the net 
operating loss carryback from 1955, the taxable income was reduced to 
zero in 1953 and to $1,000 in 1954. The taxpayer was unable to establish 
taxable income for these years under an accrual method of accounting; 
however, under section 481(b)(3)(A), increases or decreases in the tax 
for taxable years to which no adjustment is allocated must, 
nevertheless, be taken into account to the extent the tax for such years 
would be affected by a net operating loss determined with reference to 
taxable years to which adjustments are allocated. The total amount of 
the adjustments required under section 481(a) and attributable to the 
taxable years 1953 through 1957 in this example is assumed to be 
$10,000. The redetermination of taxable income established by the 
taxpayer for the taxable years 1955, 1956, and 1957 appears under the 
heading ``Taxable income established under accrual method'' in the above 
tabulation. The tabulation assumes that the taxpayer has been able to 
recompute the income for those years so as to establish a net adjustment 
of $9,000, which leaves a balance of $1,000 unaccounted for. In 
accordance with the requirements of section 481(b)(2), the $1,000 amount 
is allocated to 1958, the taxable year of the change. The following 
computations are necessary in order to determine the tax attributable to 
the adjustments under section 481(a):

 Increase in tax attributable to inclusion in 1958 of the entire $10,000
                               adjustment
Tax on income of 1958 increased by entire amount of adjustment   $51,700
 ($100,000+$10,000)...........................................
Tax on income of 1958 without adjustment ($100,000)...........    46,500
                                                               ---------
Increase in tax attributable to inclusion of entire adjustment     5,200
 in year of the change........................................



[[Page 528]]


                    Increase in tax attributed to adjustment computed under section 481(b)(1)
----------------------------------------------------------------------------------------------------------------
                                                                                                     Increase in
                                                                                                         tax
                                                                 Amount of  Tax before   Tax after    liability
                             Year                               adjustment  adjustment  adjustment  attributable
                                                                                                         to
                                                                                                     adjustment
----------------------------------------------------------------------------------------------------------------
1958..........................................................      $3,334     $46,500     $48,234       $1,734
1957..........................................................       3,333      41,300      43,033        1,733
1956..........................................................       3,333      36,100      37,833        1,733
                                                                                                   -------------
  Increase in tax attributable to adjustment computed under     ..........  ..........  ..........        5,200
   section 481(b)(1)..........................................
----------------------------------------------------------------------------------------------------------------
                    Increase in tax attributed to adjustment computed under section 481(b)(2)

----------------------------------------------------------------------------------------------------------------
1953..........................................................  \1\ $2,000           0    \1\ $600         $600
1954..........................................................   \1\ 3,000        $300    \1\1,200          900
1955..........................................................       6,000           0         300          300
1956..........................................................     (3,000)      36,100      34,540      (1,560)
1957..........................................................      96,000      41,300      44,420        3,120
1958..........................................................   \2\ 1,000      46,500  \2\ 47,020          520
                                                                                                   -------------
  Increase in tax attributable to the adjustment computed       ..........  ..........  ..........        3,880
   under section 481(b)(2)....................................
----------------------------------------------------------------------------------------------------------------
\1\ Attributable to recomputations of net operating loss carrybacks determined with reference to net operating
  loss in 1955.
\2\ Attributable to the inclusion of $1,000 in the year of the change which represents the portion of the
  $10,000 adjustment not allocated to taxable years prior to the year of the change for which taxable income is
  established under the new method.

Since the limitation under section 481(b)(2) ($3,880) on the amount of 
tax attributable to the adjustments is applicable, the final tax for the 
taxable year of the change is computed by adding such amount to the tax 
for that year computed without the inclusion of any amount attributable 
to the adjustments, that is, $46,500 plus $3,880, or $50,380.

[T.D. 6500, 25 FR 11732, Nov. 26, 1960, as amended by T.D. 6490, 25 FR 
8374, Sept. 1, 1960; T.D. 7301, 39 FR 963, Jan. 4, 1974; T.D. 8608, 60 
FR 40078, Aug. 7, 1995]