IRS Issues Guidance for Consolidated Groups Regarding NOLs

 – July 2, 2020
IRS Issues Guidance for Consolidated Groups Regarding NOLs

The Department of the Treasury and the IRS today issued proposed regulations and temporary regulations that provide guidance for consolidated groups regarding net operating losses (NOLs).

The Tax Cuts and Jobs Act (TCJA) and the Coronavirus Aid, Relief, and Economic Security Act (CARES Act) amended the rules for NOLs. After amendment, the NOL deduction is the sum of:

  • The total of the NOLs arising before Jan. 1, 2018 (pre-2018 NOLs) that are carried to that year; plus
  • The lesser of:
    • The total of the NOLs arising after Dec. 31, 2017; or
    • 80 percent of taxable income less pre-2018 NOLs (the 80-percent limitation).

The TCJA generally eliminated NOL carrybacks and permitted NOLs to be carried forward indefinitely. The TCJA also provides special rules for nonlife insurance companies and farming losses. Nonlife insurance companies are permitted to carry back NOLs two years and forward 20 years, and the 80-percent limitation does not apply. Farming losses are permitted to be carried back two years and carried forward indefinitely, subject to the 80-percent limitation.

The CARES Act effectively delays the application of the TCJA amendments until Jan. 1, 2021. Additionally, the CARES Act permits a five-year carryback for NOLs, including farming losses and NOLs of nonlife insurance companies, for taxable years beginning after Dec. 31, 2017 and before Jan. 1, 2021.

The proposed regulations provide guidance to consolidated groups on the application of the 80-percent limitation. Additionally, the proposed regulations would remove obsolete provisions from the rules for consolidated groups that contain both life insurance companies and nonlife insurance companies. 

Because the CARES Act allows certain NOLs to be carried back five years, the temporary regulations allow certain acquiring consolidated groups to make an election to waive all or a portion of the pre-acquisition portion of the extended carryback period for certain losses attributable to certain acquired members.