Example: S Corporation, a calendar year filer, and its nonunitary subsidiary, T Corporation, file separate federal returns. T does business in Oregon. S does not. On July 31, 2002, P Corporation purchases all of T's stock from S and makes an election under IRC 338. T files a separate short period Oregon return through July 31, 2002, and apportions income, including the deemed sale of assets, to Oregon using its apportionment factors for the year to date. S's gain on the sale of T's stock, an intangible, is not taxed by Oregon.
Or. Admin. Code § 150-317-0390
Stat. Auth.: ORS 305.100
Stats. Implemented: ORS 317.329