Or. Admin. R. 150-314-0120 - Reduction of Tax Attributes after Discharge of Debt
(1) A taxpayer who has excluded income from
the discharge of indebtedness for federal tax purposes under IRC 108 must also
exclude the income for Oregon purposes. Separate rules apply depending on
whether the discharge is related to insolvency or qualified farm indebtedness,
or to bankruptcy. The taxpayer must reduce Oregon tax attributes independently
of the reduction made at the federal level.
Example
1: Henry realized income from the discharge of debt
in the amount of $100,000. Henry may elect to exclude the income to the extent
he is insolvent as defined under IRC 108. Henry determines that of the $100,000
of income, he may exclude $90,000 due to insolvency. The remaining $10,000 is
included in Henry's federal adjusted gross income. Henry is required to reduce
certain tax attributes to the extent he has excluded the debt discharge from
income. The election to exclude the income under IRC 108 is also effective for
Oregon tax purposes. Assume Henry has the following tax attributes: [See PDF
link below.]
(2) If an
insolvent taxpayer or a taxpayer with discharged qualified farm indebtedness
elects under IRC 108(b)(5) to reduce the basis of depreciable property first,
the election is also effective for Oregon tax purposes.
(3) Oregon tax attributes resulting from a
bankruptcy petition filed on or after October 17, 2005 are to be reduced
according to the version of
11
USC 346(j), as in effect on
December 31, 2016. A different version of
11
USC 346(j) applies to tax
attributes that are reduced as a result of a bankruptcy petition filed before
October 17, 2005. The amount of income from discharge of indebtedness that is
excluded from federal taxable income as a result of a bankruptcy petition is
subject to the apportionment provisions of ORS chapter 314. Oregon tax
attributes are to be reduced in an amount equal to the amount of income from
discharge of indebtedness that is apportioned to Oregon.
Example 2: Tom realized income
from the discharge of debt equal to $40,000. The entire amount may be excluded
from his income due to insolvency. For federal purposes, Tom has a net
operating loss of $5,000 and rental property with a basis in the land of
$50,000 and a basis in the building of $30,000. Tom elects to reduce the basis
of his depreciable assets first under IRC 108(b)(5). For federal purposes, Tom
absorbs the excluded income by reducing federal tax attributes as follows: [See
PDF link below.]
Example
3: XYZ Corporation is bankrupt and under the
supervision of the bankruptcy court. The corporation realized income from
discharge of debt in the amount of $10,000,000. XYZ elects to exclude the
income for federal purposes under the provisions of IRC 108. XYZ's Oregon
apportionment percentage is 10% in the year of debt discharge. Assume XYZ has
the following tax attributes: [See PDF link below.]
Notes
Publications: Contact the Oregon Department of Revenue to learn how to obtain a copy of the publication referred to or incorporated by reference in this rule pursuant to ORS 183.360(2) and 183.355(1)(b).
To view tables referenced in rule text, click here to view rule.
Statutory/Other Authority: ORS 305.100
Statutes/Other Implemented: ORS 314.306
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