The IRS allows the election of a fiscal year always ending on a particular day of the week. For example, Gertie Corp may elect to end its year on the last Saturday of the December.
I believe this is revocable only with IRS consent.
Assume this to be the case, and Gertie's end date for 2009 would have been December 26th, 2009.
Now, get into IRS regs, where certain limitations are placed on years that begin or end. There are dozens of such regs, and you've seen 'em.
Let's say the IRS has a reg which prohibits a tax credit "for years beginning AFTER December 31, 2009." What is Gertie's status?
1. Gertie's next fiscal year actually begins on December 27th, so Gertie would qualify for the credit.
2. Gertie's 52-53 week election is for convenience only, thus any reg written with the obvious intent of cutting off at year-end is interpreted to apply to 52-53 wk taxpayers. Thus Gertie cannot qualify for the credit.
I believe this is revocable only with IRS consent.
Assume this to be the case, and Gertie's end date for 2009 would have been December 26th, 2009.
Now, get into IRS regs, where certain limitations are placed on years that begin or end. There are dozens of such regs, and you've seen 'em.
Let's say the IRS has a reg which prohibits a tax credit "for years beginning AFTER December 31, 2009." What is Gertie's status?
1. Gertie's next fiscal year actually begins on December 27th, so Gertie would qualify for the credit.
2. Gertie's 52-53 week election is for convenience only, thus any reg written with the obvious intent of cutting off at year-end is interpreted to apply to 52-53 wk taxpayers. Thus Gertie cannot qualify for the credit.
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