HIGHLIGHTS Bulletin No. 2019–40 OF THIS ISSUE September 30, 2019
INCOME TAX
Internal Revenue Bulletin 2019-40 · 2026-10-03 edition · updated 2026-10-04 · United States
REG-125710-18, page 785. These proposed regulations provide guidance under section 382(h) regarding the calculation of built-in gains and losses that are attributable to the period preceding a corporation’s
Finding Lists begin on page ii.
ownership change. Built-in gains and losses affect the amount of losses and deductions that a corporation can claim after an ownership change. The proposed regulations (i) simplify the application of section 382 and provide more certainty to taxpayers in determining built-in gains and losses for section 382(h) purposes, and (ii) ensure that difficult questions regarding the application of Tax Cuts and Jobs Act of 2017 provisions do not unnecessarily complicate application of section 382(h). In particular, the proposed regulations provide general rules and definitions regarding the calculation of net unrealized built-in gains and loss and identification of items that constitute recognized built-in gain or loss.
REV RUL 2019-22, page 776. Fringe benefits aircraft valuation formula. For purposes of section 1.61-21(g) of the Income Tax Regulations, relating to the rule for valuing non-commercial flights on employer-provided aircraft, the Standard Industry Fare Level (SIFL) centsper-mile rates and terminal charge in effect for the second half of 2019 are set forth.
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