Treasury Regulations (26 C.F.R.)

26 CFR § 1.1244(b)-1

Annual limitation.

Official textecfr.govlast amended

# (a) In general.

Subsection (b) of section 1244 imposes a limitation on the aggregate amount of loss that for any taxable year may be treated as an ordinary loss by a taxpayer by reason of that section. In the case of a partnership, the limitation is determined separately as to each partner. Any amount of loss in excess of the applicable limitation is treated as loss from the sale or exchange of a capital asset.

# (b)

Amount of loss—(1) Taxable years beginning after December 31, 1978. For any taxable year beginning after December 31, 1978, the maximum amount that may be treated as an ordinary loss under section 1244 is:

(i) $50,000, or

(ii) $100,000, if a husband and wife file a joint return under section 6013.

These limitations on the maximum amount of ordinary loss apply whether the loss or losses are sustained on pre-November 1978 stock (as defined in § 1.1244 (c)-1 (a)(1)), post-November 1978 stock (as defined in § 1.1244 (c)-1 (a)(2)), or on any combination of pre-November 1978 stock and post-November 1978 stock. The limitation referred to in (ii) applies to a joint return whether the loss or losses are sustained by one or both spouses.

(2) Taxable years ending before November 6, 1978. For any taxable year ending before November 6, 1978, the maximum amount that may be treated as an ordinary loss under section 1244 is:

(i) $25,000 or

(ii) $50,000, if a husband and wife file a joint return under section 6013.

The limitation referred to in (ii) applies to a joint return whether the loss or losses are sustained by one or both spouses.

(3) Taxable years including November 6, 1978. For a taxable year including November 6, 1978, the maximum amount that may be treated as ordinary loss under section 1244 is the sum of:

(i) The amount calculated by applying the limitations described in subparagraph (1) of this paragraph (b) to the amount of loss, if any, sustained during the taxable year on post-November 1978 stock, plus

(ii) The amount calculated by applying the limitations described in subparagraph (2) of this paragraph (b) to the amount of loss, if any, sustained during the taxable year on pre-November 1978 stock,

To the extent this sum does not exceed $50,000, or, if a husband and wife file a joint return under section 6013 for the taxable year, $100,000.

(4) Examples. The provisions of this section may be illustrated by the following examples:

Example 1.

A, a married taxpayer who files a joint return for the taxable year ending December 31, 1977, sustains a $50,000 loss qualifying under section 1244 on pre-November 1978 stock in Corporation X and an equal amount of loss qualifying under section 1244 on pre-November 1978 stock in Corporation Y. A is limited to $50,000 of ordinary loss under paragraph (b)(2)(ii). The remaining $50,000 of loss is treated as loss from the sale or exchange of a capital asset.

Example 2.

For the taxable year ending December 31, 1979, B, a married taxpayer who files a joint return, sustains a $90,000 loss on post-November 1978 stock in Corporation X. In the same taxable year, C, B's spouse, sustains a $25,000 loss on post-November 1978 stock in Corporation Y. Both losses qualify under section 1244. B and C's ordinary loss is limited to $100,000 under paragraph (b)(1)(ii). The remaining $15,000 of loss is treated as loss from the sale or exchange of a capital asset.

Example 3.

D, a married taxpayer who files a joint return and reports income on a fiscal year basis for the taxable year ending November 30, 1978, sustains a $60,000 loss qualifying under section 1244 on pre-November 1978 stock and a $40,000 loss qualifying under section 1244 on post-November 1978 stock. D's ordinary loss on pre-November 1978 stock is limited to $50,000 under subparagraph (3)(ii) of this paragraph (b). D's $40,000 loss on post-November 1978 stock is within the limit of subparagraph (3)(i) of this paragraph (b). The total of these losses, $90,000, is the aggregate amount deductible by D as ordinary loss under section 1244. The remaining $10,000 of loss is treated as loss from the sale or exchange of a capital asset.

Example 4.

E, a married taxpayer who files a joint return for the taxable year ending December 31, 1980, sustains a $75,000 loss qualifying under section 1244 on pre-November 1978 stock and a $10,000 loss qualifying under section 1244 on post-November 1978 stock. E may deduct the total of these losses, $85,000, as ordinary loss under paragraph (b)(1)(ii).

Example 5.

Assume the same facts as in the preceding example, except that the losses are sustained in the taxable year beginning January 1, 1978, and ending December 31, 1978. E is limited to $60,000 of ordinary loss ($50,000 on pre-November 1978 stock plus $10,000 on post-November 1978 stock) under paragraph (b)(3). The remaining $25,000 of loss is treated as loss from the sale or exchange of a capital asset.

Example 6.

F, a married taxpayer who files a joint return for the taxable year beginning January 1, 1978, and ending December 31, 1978, sustains a $75,000 loss qualifying under section 1244 on pre-November 1978 stock and a $125,000 loss qualifying under section 1244 on post-November 1978 stock. F's loss on pre-November 1978 stock is limited to $50,000 of ordinary loss under subparagraph (3)(ii) of this paragraph (b). F's loss on post-November 1978 stock is limited to $100,000 of ordinary loss under subparagraph (3)(i) of this paragraph (b). The total of these losses, $150,000, is limited to $100,000 of ordinary loss under paragraph (b)(3). F's aggregate amount of ordinary loss under section 1244 is $100,000. The remaining $100,000 of loss is treated as loss from the sale or exchange of a capital asset.

[T.D. 7779, 46 FR 29467, June 2, 1981]

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In this part (40 sections)
  1. 1.1232-3 · Gain upon sale or exchange of obligations issued at a…
  2. 1.1232-3A · Inclusion as interest of original issue discount on certain…
  3. 1.1233-1 · Gains and losses from short sales.
  4. 1.1233-2 · Hedging transactions.
  5. 1.1234-1 · Options to buy or sell.
  6. 1.1234-2 · Special rule for grantors of straddles applicable to certain…
  7. 1.1234-3 · Special rules for the treatment of grantors of certain…
  8. 1.1234-4 · Hedging transactions.
  9. 1.1235-1 · Sale or exchange of patents.
  10. 1.1235-2 · Definition of terms.
  11. 1.1236-1 · Dealers in securities.
  12. 1.1237-1 · Real property subdivided for sale.
  13. 1.1238-1 · Amortization in excess of depreciation.
  14. 1.1239-1 · Gain from sale or exchange of depreciable property between…
  15. 1.1239-2 · Gain from sale or exchange of depreciable property between…
  16. 1.1240-1 · Capital gains treatment of certain termination payments.
  17. 1.1241-1 · Cancellation of lease or distributor's agreement.
  18. 1.1242-1 · Losses on small business investment company stock.
  19. 1.1243-1 · Loss of small business investment company.
  20. 1.1244(a)-1 · Loss on small business stock treated as ordinary loss.
  21. 1.1244(b)-1 · Annual limitation.
  22. 1.1244(c)-1 · Section 1244 stock defined.
  23. 1.1244(c)-2 · Small business corporation defined.
  24. 1.1244(d)-1 · Contributions of property having basis in excess of value.
  25. 1.1244(d)-2 · Increases in basis of section 1244 stock.
  26. 1.1244(d)-3 · Stock dividend, recapitalizations, changes in name, etc.
  27. 1.1244(d)-4 · Net operating loss deduction.
  28. 1.1244(e)-1 · Records to be kept.
  29. 1.1245-1 · General rule for treatment of gain from dispositions of…
  30. 1.1245-2 · Definition of recomputed basis.
  31. 1.1245-3 · Definition of section 1245 property.
  32. 1.1245-4 · Exceptions and limitations.
  33. 1.1245-5 · Adjustments to basis.
  34. 1.1245-6 · Relation of section 1245 to other sections.
  35. 1.1248-1 · Treatment of gain from certain sales or exchanges of stock…
  36. 1.1248-2 · Earnings and profits attributable to a block of stock in…
  37. 1.1248-3 · Earnings and profits attributable to stock in complex cases.
  38. 1.1248-4 · Limitation on tax applicable to individuals.
  39. 1.1248-5 · Stock ownership requirements for less developed country…
  40. 1.1248-6 · Sale or exchange of stock in certain domestic corporations.
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