Example 1: In tax year 2019, Corporation XYZ had an Oregon apportionment percentage of 25 percent. In the same tax year, Corporation XYZ realized an apportionable capital loss of $2,000. Consequently, $500 ($2,000 x 25 percent) of the capital loss is apportioned to Oregon. Corporation XYZ had no capital gain income in the past three tax years. The result is that Corporation XYZ can carry forward its $500 capital loss five tax years for Oregon tax purposes.
In tax year 2020, Corporation XYZ had an Oregon apportionment percentage of 10 percent. Corporation XYZ claimed a federal capital loss deduction of $2,000 and federal capital gains of $4,000 on its federal tax return based on its tax year 2019 capital loss. Corporation XYZ computes its Oregon capital loss deduction by first adding $2,000 to its federal taxable income on its Oregon tax return. Corporation XYZ is then allowed to subtract $400 ($4,000 x 10 percent) of the 2019 capital loss on its Oregon tax return because $400 of the tax year 2020 capital gain was apportioned to Oregon. Corporation XYZ now has $100 of capital losses to carry forward to the remaining allowable future tax years for Oregon purposes.
Example 2: Corporation EDF is commercially domiciled in California. In tax year 2019, Corporation EDF had an Oregon apportionment percentage of 25 percent. In the same tax year, Corporation EDF realized a non-apportionable capital loss of $2,000 from the sale of a collectible sled. None of the capital loss is apportioned to Oregon. For federal tax purposes, Corporation EDF properly carries forward the entire capital loss to tax year 2020. Corporation EDF adds $2,000 to its federal taxable income on its Oregon tax return. Corporation EDF subtracts none of the capital loss on its Oregon tax return because none of the capital loss is allocated or apportioned to Oregon and so Corporation EDF has zero carryforward.
Example 3: Corporation X has a federal net capital loss of $3,000 for2023. X's apportionment factor for 2023 is 40 percent. All of Corporation X's capital gains and losses are apportionable under ORS 314.610(1). In 2020, X had a federal net capital gain of $1,000 and its Oregon apportionment factor was 50 percent. X has a $1,200 ($3000 x 40 percent) Oregon net capital loss available for carryback to 2020. X will deduct $500 ($1000 x 50 percent) on the 2020 return and must carry the remaining $700 forward to other tax years.
Example 4: Corporations X and Y filed a consolidated Oregon return in 2023 reporting a net capital loss of $5,000 that is attributable to Y. The consolidated apportionment factor for 2023 is 40 percent. In 2020, X and Y filed a consolidated Oregon return reporting a net capital gain of $10,000 attributable to X. The consolidated Oregon apportionment factor in 2020 was 25 percent. All of Corporations X and Y's gains and losses were apportionable and not allocated. The Oregon capital loss carryback of $2,000 ($5,000 x 40 percent) from 2023 is fully deductible in 2020 because it does not exceed the Oregon consolidated net capital gain of $2,500 ($10,000 x 25 percent).
Example 5: Corporation R filed a separate Oregon return for 2022 reflecting an Oregon net capital loss of $3,000. Corporation R did not have net capital gains in any of the prior three years. For 2023, Corporation R was included in a consolidated Oregon return with Corporations S and T. The consolidated group was not subject to the apportionment provisions. See ED NOTE for example table.
Example 6: X Corporation and unitary subsidiaries Y and Z filed a consolidated Oregon return for 2022, their first year in business. X had a $3,000 capital loss, Y had a $2,000 capital gain, and Z had a $1,000 capital loss (consolidated net capital loss of $2,000). The 2022 Oregon apportionment factor for the consolidated group is 60 percent. On December 31, 2022, X Corporation sold 100 percent of Z's stock to an outside investor. The capital loss that can be carried forward to the 2023 consolidated return of X and Y is computed in the table as follows: See ED NOTE for example table.
Example 7: Assume the same facts as in Example 6. The 2023 separate Oregon return of Z shows a net capital gain of $200 with an Oregon apportionment factor of 50 percent. The net capital loss deduction allowed is $100 ($200 x 50 percent). Z has a net capital loss carryover to 2024 of $200.
Example 8: In its first tax year 2022, B Corporation had a net capital loss of $6,000. Because of its 50 percent Oregon apportionment factor, $3,000 ($6,000 x 50 percent) of the loss is apportioned to Oregon. On January 1, 2023, 100 percent of B's stock was purchased by P Corporation. Because they were unitary, P and B file a 2023 consolidated Oregon return that includes B's net capital gain of $1,000 and P's net capital gain of $3,000. The consolidated return apportionment factor is 35 percent. On the 2023 consolidated return, only $350 of B's $3,000 net capital loss carryover can be deducted (the lesser of $1,000 x .35 or $4,000 x .35).
Or. Admin. Code § 150-317-0060
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Publications: Contact the Oregon Department of Revenue for information about how to obtain a copy of the publication referred to or incorporated by reference in this rule pursuant to ORS 183.360(2) and ORS 183.355(2)(b).
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Statutory/Other Authority: ORS 305.100
Statutes/Other Implemented: ORS 317.010 & 317.476