Reg. § 1.6049-10 Reporting of original issue discount on a tax-exempt obligation.

26 CFR § 1.6049-10eCFR, current through 2026-07-14

(a) In general For purposes of section , a payor (as defined in ) of original issue discount (OID) on a tax-exempt obligation (as defined in section ) is required to report the daily portions of OID on the obligation as if the daily portions of OID that accrued during a calendar year were paid to the holder (or holders) of the obligation in the calendar year. The amount of the daily portions of OID that accrues during a calendar year is determined as if section and applied to a tax-exempt obligation. Notwithstanding any other rule in section and the regulations thereunder, a payor must determine whether a tax-exempt obligation was issued with OID and the amount of OID that accrues for each relevant period. As prescribed by section , OID on a tax-exempt obligation is determined without regard to the de minimis rules in section and .

(b) Acquisition premium A payor is required to report acquisition premium amortization on a tax-exempt obligation in accordance with the rules in as if section applied to a tax-exempt obligation. See of this section to determine the amount of OID allocable to an accrual period.

(c) Effective/applicability date This section applies to a tax-exempt obligation that is a covered security (within the meaning of and ) acquired on or after January 1, 2017. For a taxable year beginning after December 31, 2016, a broker, however, may rely on this section to report OID and acquisition premium for a tax-exempt obligation that is a covered security acquired before January 1, 2017.

[T.D. 9750, 81 FR 8154, Feb. 18, 2016]