Ill. Admin. Code tit. 86, § 100.2210 - Net Operating Losses Occurring Prior to December 31, 1986, of Unitary Business Groups: Treatment by Members of the Unitary Business Group (IITA Section 202) - Definitions
Federal taxable income for Illinois income tax purposes and Federal NOL for Illinois income tax purposes mean:
a) in the case of a corporation that files
its own (unconsolidated) federal income tax return for the year, the amount of
taxable income or NOL reflected on such return or if altered by IRS audit or
amended return, as finally determined for federal income tax purposes within
the meaning of IITA Section 506(b) increased in any case by the amount of any
net operating loss deduction (for carryback or carryforward of net operating
losses from other years) actually reflected by the corporation on that federal
return.
b) in the case of a
corporation that is a member of an affiliated group filing a consolidated
federal income tax return for the year, the amount of taxable income or NOL
which such corporation would have had it filed a separate return for federal
income tax purposes for the taxable year and each preceding taxable year for
which it was a member of an affiliated group, such calculation being made as if
the elections of
26 USC
243(b)(2) and
172(b)(3)(C)
had been in effect for all such years, the amount calculated hereunder being
increased in any case by the amount of any net operating loss deduction (for
carryback or carryforward of any net operating losses from other years) to
which the corporation would otherwise be entitled under this
subsection.
c) in the case of the
corporation that is not required to file a federal income tax return for the
year, the equivalent federal taxable income which it computes under IITA
Section 203(e); increased in any case by the amount of any net operating loss
deduction (for carryback or carryforward of net operating losses from other
years) to which the corporation would otherwise be entitled under that
section.
Notes
Amended at 26 Ill. Reg. 13237, effective August 23, 2002
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