Current through September 30, 2024
Section 1.336-0 - Table of contentsThis section lists captions contained in §§ 1.336-1 , 1.336-2 , 1.336-3 , 1.336-4 , and 1.336-5 .
§ 1.336-1 General principles, nomenclature, and definitions for a section 336(e) election. (b) Definitions. (3) Target; S corporation target; old target; new target.(4) S corporation shareholders.(5) Disposed of; disposition.(ii) Exception for disposition of stock in certain section 355 transactions.(iii) Transactions with related persons.(iv) No consideration paid.(v) Disposed of stock reacquired by certain persons.(6) Qualified stock disposition. (ii) Overlap with qualified stock purchase. (7) 12-month disposition period.(9) Disposition date assets.(10) Domestic corporation.(11) Section 336(e) election.(14) Deemed asset disposition.(15) Deemed disposition tax consequences.(16) 80-percent purchaser.(17) Recently disposed stock.(18) Nonrecently disposed stock.§ 1.336-2 Availability, mechanics, and consequences of section 336(e) election.(a) Availability of election.(b) Deemed transaction. (1) Dispositions not described in section 355(d)(2) or (e)(2).(i) Old target-deemed asset disposition.(B) Gains and losses. (2) Losses. (ii) Stock distributions.(iii) Amount and allocation of disallowed loss.(ii) New target-deemed purchase.(iii) Old target and seller-deemed liquidation.(iv) Seller-distribution of target stock.(v) Seller-retention of target stock.(2) Dispositions described in section 355(d)(2) or (e)(2).(i) Old target-deemed asset disposition.(A) In general.(1) Old target not deemed to liquidate.(B) Gains and losses. (2) Losses. (ii) Stock distributions.(iii) Amount and allocation of disallowed loss.(ii) Old target-deemed purchase.(C) Application of section 197(f)(9), section 1091, and other provisions to old target.(iii) Seller-distribution of target stock.(iv) Seller-retention of target stock.(v) Qualification under section 355.(vi) Earnings and profits.(d) Minority shareholders.(2) Sale, exchange, or distribution of target stock by a minority shareholder.(3) Retention of target stock by a minority shareholder.(e) Treatment consistent with an actual asset disposition.(f) Treatment of target under other provisions of the Internal Revenue Code.(g) Special rules. (1) Target as two corporations.(2) Treatment of members of a consolidated group.(3) International provisions.(i) Source and foreign tax credit.(ii) Allocation of foreign taxes.(B) Taxes imposed on partnerships and disregarded entities.(iii) Disallowance of foreign tax credits under section 901(m).(h) Making the section 336(e) election. (2) Non-consolidated/non-S corporation target.(3) S corporation target.(5) Section 336(e) election statement.(ii) Target subsidiaries.(6) Contents of section 336(e) election statement.(7) Asset Allocation Statement.(j) Protective section 336(e) election.§ 1.336-3 Aggregate deemed asset disposition price; various aspects of taxation of the deemed asset disposition. (b) Determination of ADADP. (2) Time and amount of ADADP. (i) Original determination.(ii) Redetermination of ADADP.(c) Grossed-up amount realized on the disposition of recently disposed stock of target. (1) Determination of amount.(d) Liabilities of old target. (2) Time and amount of liabilities.(e) Deemed disposition tax consequences.(f) Other rules apply in determining ADADP.§ 1.336-4 Adjusted grossed-up basis.(b) Modifications to the principles in § 1.338-5 . (1) Purchasing corporation; purchaser.(2) Acquisition date; disposition date.(3) Section 338 election; section 338(h)(10) election; section 336(e) election.(4) New target; old target.(5) Recently purchased stock; recently disposed stock.(6) Nonrecently purchased stock; nonrecently disposed stock.(c) Gain recognition election. (2) 80-percent purchaser.(3) Non-80-percent purchaser.(4) Gain recognition election statement.§ 1.336-5 Effective/applicability date.T.D. 9619, 78 FR 28474, May 15, 2013