Treasury Regulations (26 C.F.R.)
26 CFR § 1.1502-100
Corporations exempt from tax.
# (a)
In general—(1) Computation of tax liability. The tax liability for a consolidated return year of a group of two or more corporations described in section 1504(e) which are exempt from taxation under section 501 (hereinafter referred to in this section as “exempt group”) shall be determined on a consolidated basis by applying the provisions of subchapter F of chapter 1 of the code in the manner provided in this section. See section 1504(e) for tax-exempt corporations eligible to file a consolidated return.
(2) Applicability of other consolidated return provisions. The provisions of the consolidated return regulations are applicable to an exempt group to the extent they are not inconsistent with the provisions of this section or the provisions of subchapter F of chapter 1 of the Code. For purposes of applying the provisions of the consolidated return regulations to an exempt group, the following substitutions must be made—
(i) The term “exempt group” is substituted for the term “group”;
(ii) The terms “unrelated business taxable income”, “separate unrelated business taxable income”, and “consolidated unrelated business taxable income” are substituted for the terms “taxable income”, “separate taxable income”, and “consolidated taxable income”; and
(iii) The term consolidated liability for tax determined under § 1.1502-2 (or an equivalent term) means the consolidated liability for tax of an exempt group determined under paragraph (b) of this section.
# (b)
The tax liability for a consolidated return year of an exempt group is the tax imposed by section 511(a) on the consolidated unrelated taxable income for the year (determined under paragraph (c) of this section), and by allowing the credits provided in § 1.1502-2(b).
# (c) Consolidated unrelated business taxable income.
The consolidated unrelated business taxable income for a consolidated return year shall be determined by taking into account:
(1) The separate unrelated business taxable income of each member of the exempt group (determined under paragraph (d) of this section);
(2) Any consolidated net operating loss deduction (determined under § 1.1502-21) subject to the limitations provided in section 512(b)(6);
(3) Any consolidated charitable contribution deduction (determined under § 1.1502-24) subject to the limitations provided in section 512(b)(10); and
(4) Any consolidated net gain or net loss from the disposition of debt-financed property (as defined in section 514(b)) taken into account as provided by section 514(a), or from the cutting of timber to which section 631 applies.
# (d)
Separate unrelated business taxable income—(1) In general. The separate unrelated business taxable income of a member of an exempt group must be computed in accordance with the provisions of section 512 covering the determination of unrelated business taxable income of separate corporations, except that:
(i) The provisions of paragraphs (a) through (d), (f) through (k), and (o) of § 1.1502-12 apply; and
(ii) No charitable contributions deduction is taken into account under section 512(b)(10).
(2) Section 501(c)(2) organizations. See sections 511(c) and 512(a)(3)(C) for special rules applicable to organizations described in section 501(c)(2). .
See sections 511(c) and 512(a)(3)(C) for special rules applicable to organizations described in section 501(c)(2).
[T.D. 7595, 44 FR 10382, Feb. 20, 1979, as amended by T.D. 8677, 61 FR 33325, June 27, 1996; T.D. 8823, 64 FR 36101, July 2, 1999; T.D. 9885, 84 FR 67044, Dec. 6, 2019; T.D. 10018, 89 FR 106878, Dec. 30, 2024]
Source: view the official text
In this part (40 sections)
- 1.1502-51 · Consolidated section 951A.
- 1.1502-55 · Computation of alternative minimum tax of consolidated…
- 1.1502-59A · Application of section 59A to consolidated groups.
- 1.1502-68 · Additional first year depreciation deduction for property…
- 1.1502-75 · Filing of consolidated returns.
- 1.1502-76 · Taxable year of members of group.
- 1.1502-77 · Agent for the group.
- 1.1502-78 · Tentative carryback adjustments.
- 1.1502-79 · Separate return years.
- 1.1502-80 · Applicability of other provisions of law.
- 1.1502-90 · Table of contents.
- 1.1502-91 · Application of section 382 with respect to a consolidated…
- 1.1502-92 · Ownership change of a loss group or a loss subgroup.
- 1.1502-93 · Consolidated section 382 limitation (or subgroup section…
- 1.1502-94 · Coordination with section 382 and the regulations…
- 1.1502-95 · Rules on ceasing to be a member of a consolidated group (or…
- 1.1502-96 · Miscellaneous rules.
- 1.1502-97 · Special rules under section 382 for members under the…
- 1.1502-98 · Coordination with sections 383 and 163(j).
- 1.1502-99 · Effective/applicability dates.
- 1.1502-100 · Corporations exempt from tax.
- 1.1503-1 · Computation and payment of tax.
- 1.1503(d)-0 · (d)-0 Table of contents.
- 1.1503(d)-1 · (d)-1 Definitions, special rules, and filings.
- 1.1503(d)-2 · (d)-2 Domestic use.
- 1.1503(d)-3 · (d)-3 Foreign use.
- 1.1503(d)-4 · (d)-4 Domestic use limitation and related operating rules.
- 1.1503(d)-5 · (d)-5 Attribution of items and basis adjustments.
- 1.1503(d)-6 · (d)-6 Exceptions to the domestic use limitation rule.
- 1.1503(d)-7 · (d)-7 Examples.
- 1.1503(d)-8 · (d)-8 Applicability dates.
- 1.1504-0 · Outline of provisions.
- 1.1504-1 · Definitions.
- 1.1504-2 · [Reserved]
- 1.1504-3 · Treatment of stock in a QOF C corporation for purposes of…
- 1.1504-4 · Treatment of warrants, options, convertible obligations, and…
- 1.1502-77A · Common parent agent for subsidiaries applicable for…
- 1.1502-77B · Agent for the group applicable for consolidated return…
- 1.1551-1 · Disallowance of surtax exemption and accumulated earnings…
- 1.1552-1 · Earnings and profits.