23 Va. Admin. Code § 10-120-84
B. Business entirely within Virginia.
C. Allocation and apportionment.
2. When sales are deemed to be made in Virginia. In determining when a sale, other than a sale of tangible personal property, occurs in Virginia, the location of the income producing activity must be determined. (§ 58.1-416 of the Code of Virginia and 23VAC10-120-230.)
For purposes of this chapter, the income producing activity is presumed to occur in Virginia for any services or charges billed to a Virginia service address, except that with respect to charges for interstate communications services, more income producing activity will be presumed to occur in Virginia than in any other state if both:
D. Net operating loss modifications. In addition to the modifications applicable to corporations generally, telecommunications companies are required to make the following modifications to federal taxable income in the computation of Virginia taxable income:
2. Subtraction for net operating loss deduction. Because federal law required a NOLD to be carried back to the earliest year in which there is income to be offset, a telecommunications company incurring a net operating loss in a taxable year beginning on or after January 1, 1989, might be required to carry such loss back to taxable years beginning before January 1, 1989. Since a telecommunications company was not subject to Virginia income tax for years beginning before January 1, 1989, it would receive no Virginia benefit from such carryback, and the NOLD for other taxable years would be reduced or eliminated by the required federal carryback.
In this situation, telecommunications companies must add back the NOLD actually allowed on their federal returns for taxable years beginning before January 1, 1989, which is attributable to a loss occurring in a taxable year beginning on or after January 1, 1989. A new NOLD is computed for Virginia purposes following the federal law and regulations except that no such loss is carried back to a taxable year beginning before January 1, 1989.
EXAMPLE 1: XYZ Co. is a telecommunications company reporting on a calendar year basis. For the years 1986 - 1992 XYZ Co. had no additions or subtractions to federal taxable income except for an adjustment for net operating loss deductions. The income of XYZ is as follows:
Federal taxable 1985 1986 1987 1988 1989
income before
NOLD 50,000 50,000 25,000 (150,000) 75,000
NOLD (50,000) (50,000) (25,000) - (25,000)
Federal taxable
income -0- -0- -0- -0- 50,000
Virginia NOL
adjustment 25,000
Virginia taxable
income (Virginia income tax not imposed) 75,000
Under federal law the 1988 net operating loss is first carried back to offset 1985, 1986 and 1987 income. There would be $25,000 of the NOL remaining to be carried forward and deducted on XYZ Co.'s 1989 federal return. Because the loss occurred in a taxable year beginning before January 1, 1989, the NOLD on the 1989 return must be added to federal taxable income to determine Virginia taxable income.
EXAMPLE 2: Same facts as Example 1 except that the loss occurred in 1990. The income of XYZ Co. is as follows:
Federal taxable 1987 1988 1989 1990 1991
income before
NOLD 25,000 25,000 75,000 (100,000) 75,000
NOLD (25,000) (25,000) (50,000) - -0¢
Federal taxable
income -0- -0- 25,000 -0- 75,000
Virginia NOL +50,000
adjustment (Virginia income) (75,000) (25,000)
Virginia taxable
income (Tax not imposed) -0- -0- 50,000
Under federal law the 1990 net operating loss is first carried back to offset 1987 and 1988 income, The remaining $50,000 NOL is carried back to the 1989 federal return.
Because the loss occurred in a taxable year beginning on and after January 1, 1989, the entire NOL will be available to offset Virginia income reported in taxable years beginning on and after January 1, 1989. The federal NOLD of $50,000 is first added to the 1989 federal taxable income and then a new Virginia NOL carryback is computed and subtracted. The federal laws and regulations are followed except that no NOL shall be carried back further than 1989. The result is that the carryback to 1989 is $75,000 instead of $50,000and there is still $25,000 of the NOL left to carryover to the 1991 return.
§§ 58.1-203 and 58.1-400.1 of the Code of Virginia.
Derived from VR630-3-400.1 § 5, eff. January 3, 1990.