Illinois Administrative Code
Title 86 - REVENUE
Part 100 - INCOME TAX
Subpart C - NET OPERATING LOSSES OF UNITARY BUSINESS GROUPS OCCURRING PRIOR TO DECEMBER 31, 1986
Section 100.2240 - Net Operating Losses Occurring Prior to December 31, 1986, of Unitary Business Groups: Treatment by Members of the Unitary Business Group: (IITA Section 202) - Effect of Combined Net Operating Loss in Computing Illinois Base Income
Current through Register Vol. 48, No. 38, September 20, 2024
a) For purposes of computing the group's combined Illinois base income or equivalent, the group's combined net operating loss (after giving effect to inter member eliminations) can be used to offset the group's combined excess addition modifications. This combined net operating loss (after giving effect to inter member eliminations) can be used to offset the group's combined excess addition modifications. The group's combined excess addition modifications is defined as the total of all addition modifications required by IITA Section 203 (except that prescribed by IITA Section 203(b)(2)(E) and Section 203(c)(2)(E)) for all members of the group, less the total of all subtraction modifications required by IITA Section 203 for all members of the group.
b) However, each group member allowed to carryback or forward a portion of the group's combined federal net operating loss from a year in which that combined federal net operating loss was used to offset any portion of the group's combined excess addition modifications, must take as an addition modification in the carryback and carryforward year its respective share of the NOL addition modification required by IITA Section 203(b)(2)(E) and (c)(2)(E). These respective shares shall be determined in the same manner that the share of the combined federal net operating loss of each member was determined under Section 100.2230(b) of this Part. The amount of the NOL addition modification actually required to be shown in the carryback or carryforward year by any member of the group shall, however, be limited to the amount of loss actually carried to such year by the group member.
Fed. Taxable Income (NOL) For Ill. Income Tax Purposes |
Total Addition Modifications |
Total Subtraction Modifications |
Excess Addition Modifications |
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Corp. |
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A |
(100,000) |
65,000 |
40,000 |
25,000 |
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Corp. |
|||||||||||||||
B |
60,000 |
20,000 |
5,000 |
15,000 |
|||||||||||
Corp. |
|||||||||||||||
C |
(30,000) |
0 |
15,000 |
(15,000) |
|||||||||||
Corp. |
|||||||||||||||
D |
20,000 |
0 |
0 |
0 |
|||||||||||
Total |
(50,000) |
85,000 |
60,000 |
25,000 |
Corp. A: $100/$130 x ($50,000) = ($38,462)
Corp. C: $30/$130 x ($50,000) = ($11,538)
Corp. A: $100/$130 x $25,000 = ($19,230)
Corp. C: $30/$130 x $25,000 = ($5,770)
Fed. Taxable Income (NOL) For Ill. Income Tax Purposes |
Total Addition Modifications |
Total Subtraction Modifications |
Excess Addition Modifications |
||||||||||||
Corp. |
|||||||||||||||
A |
(65,000) |
65,000 |
40,000 |
25,000 |
|||||||||||
Corp. |
|||||||||||||||
B |
60,000 |
20,000 |
5,000 |
15,000 |
|||||||||||
Corp. |
|||||||||||||||
C |
(30,000) |
0 |
15,000 |
(15,000) |
|||||||||||
Corp. |
|||||||||||||||
D |
20,000 |
0 |
0 |
0 |
|||||||||||
Total |
(15,000) |
85,000 |
60,000 |
25,000 |
Corp. A: $65/$95 x ($15,000) = ($10,263)
Corp. C: $30/$95 x ($15,000) = ($4,737)
Corp. A: $65/$95 x $15,000 = $10,263
Corp. C: $30/$95 x $15,000 = $4,737