Reg. § 1.172-2 Net operating loss in case of a corporation.

26 CFR § 1.172-2eCFR, current through 2026-07-14

(a) Modification of deductions A net operating loss is sustained by a corporation in any taxable year if and to the extent that, for such year, there is an excess of deductions allowed by chapter 1 of the Code over gross income computed thereunder. In determining the excess of deductions over gross income for such purpose—

(1) Items not deductible No deduction shall be allowed under—

(i) Section for the net operating loss deduction, and

(ii) Section 922 in respect of Western Hemisphere trade corporations;

(2) Dividends received The 85-percent limitation provided by section shall not apply to the deductions otherwise allowed under—

(i) Section in respect of dividends received from domestic corporations.

(ii) Section in respect of dividends received on preferred stock of public utilities, and

(iii) Section in respect of dividends received from foreign corporations; and

(3) Dividends paid The deduction granted by section in respect of dividends paid on the preferred stock of public utilities shall be computed without regard to subsection (a)(1)(B) of Section .

(b) Example The following example illustrates the application of paragraph (a):

Example.

For the calendar year 1981, the X corporation has a gross income of $400,000 and total deductions allowed by chapter 1 of the Code of $375,000 exclusive of any net operating loss deduction and exclusive of any deduction for dividends received or paid. Corporation X in 1981 received $100,000 of dividends entitled to the benefits of section . These dividends are included in Corporation X's $400,000 gross income. Corporation X has no other deductions to which section applies. On the basis of these facts, Corporation X has a net operating loss for the year 1981 of $60,000, computed as follows:

Deductions for 1981$375,000
Plus: Deduction for dividends received, computed without regard to the limitation provided in section 246(b) (85% of $100,000)85,000
Total460,000
Less: Gross income for 1981 (including $100,000 dividends)400,000
Net operating loss for 198160,000

(c) Qualified real estate investment trusts For taxable years ending after October 4, 1976, the net operating loss of a qualified real estate investment trust (as defined in ) is computed by taking into account the adjustments described in section (other than the deduction for dividends paid, as defined in section ), as well as the modifications required by of this section. Thus, for example, the special deductions for dividends received, etc., provided in part VIII of subchapter B (other than section ), as well as the net operating loss deduction under section , are not allowed in computing the net operating loss of a qualified real estate investment trust.

[T.D. 8107, 51 FR 43345, Dec. 2, 1986]