Example. Z elected to use the 10-percent method of section 460(b)(5) for reporting income under the percentage of completion method. Z entered into a contract in 1990 for a fixed price of $1,000x. During 1990, Z incurred allocable contract costs of $80x and estimated that it would incur a total of $900x for the entire contract. Since $80x is less than 10 percent of total estimated contract costs, Z reported no revenue from the contract in 1990 and deferred the $80x of costs incurred. In 1991, Z incurred an additional $620x of contract costs, and completed the contract. Accordingly, in its 1991 return, Z reported the entire contract price of $l,000x, and deducted the $620x of costs incurred in 1991 and the $80x of costs incurred in 1990.
Under section 460(b)(5), the 10-percent method applies both for reporting contract income and the look-back method. Under the look-back method, since the costs incurred in 1990 ($80x) exceed 10 percent of the actual total contract costs ($700x), Z is required to allocate $114x of contract revenue ($80x/$700x * $1,000x) and the $80x of costs incurred to 1990. Thus, application of the 1ook-back method results in a net increase in taxable income for 1990 of $34x, solely for purposes of the look-back method.
Example. Upon the completion of a long-term contract in 1990, the taxpayer redetermines its tax liability for 1988 under the look-back method. This redetermination results in a hypothetical reduction of tax liability from $1,500x (actual liability originally reported) to $1,200x (hypothetical liability). In addition, the taxpayer had already received a refund of some or all of the actual 1988 tax by carrying back a net operating loss (NOL) that arose in 1989. The time period over which interest would be computed on the hypothetical overpayment of $300x for 1988 would depend on the amount of the refund generated by the carryback, as illustrated by the following three alternative situations:
Example. Corporation X, a calendar-year taxpayer, reports income from long-term contracts and elected the simplified marginal impact method when it filed its income tax return for 1989. X uses only the percentage of completion method for both regular taxable income and alternative minimum taxable income. X completed contracts A, B, and C in 1989 and, therefore, was required to apply the look-back method in 1989. Income was actually reported for these contracts in 1987, 1988, and 1989. X's applicable tax rate, as determined under section 11, for the redetermination years 1987 and 1988 was 40 percent and 34 percent, respectively. The amount of contract income originally reported and reallocated for contracts A, B, and C, and the net overpayments and underpayments for the redetermination years are as follows:
1987 | 1988 | |
Contract A: | ||
Originally reported | $5,000x | $4,000x |
Reallocated | 3,000x | 5,000x |
Increase/(Decrease) | (2,000x) | 1,000x |
Contract B: | ||
Originally reported | 6,000x | 2,000x |
Reallocated | 7,000x | 1,500x |
Increase/(Decrease) | 1,000x | (500x) |
Contract C: | ||
Originally reported | 8,000x | 5,000x |
Reallocated | 4,000x | 7,000x |
Increase/(Decrease) | (4,000x) | 2,000x |
Net Increase/(Decrease) | (5,000x) | 2,500x |
Tentative (Underpayment)/Overpayment: | ||
@ .40 | 2,000x | |
@ .34 | (850x) | |
Ceiling: | ||
Actual Tax Liability (After Carryovers and Carrybacks) | 1,500x | 500x |
Final (Underpayment)/Overpayment | 1,500x | (850x) |
Under the simplified marginal impact method, X determined a tentative hypothetical net overpayment for 1987 and a net underpayment for 1988. X determined these amounts by first aggregating the difference for contracts A, B, and C between the amount of contract price originally reported and the amount of contract price as reallocated and, then, applying the highest regular tax rate to the aggregate decrease in income for 1987 and the aggregate increase in income for 1988.
However, X's overpayment for 1987 is subject to a ceiling based on X's total tax liability. Because the tentative net overpayment of tax for 1987 exceeds the actual tax liability for that year after taking into account carryovers and carrybacks to that year, the final overpayment under the simplified marginal impact method is the amount of tax liability paid instead of the tentative net overpayment. Since application of the look-back method for 1988 results in a tentative underpayment of tax, it is not subject to a ceiling. If the look-back method is applied in 1991, the ceiling amount for 1987 will be zero and the ceiling amount for 1988 will be $1,350.
X is entitled to receive interest on the hypothetical overpayment from March 15, 1988, to March 15, 1990. X is required to pay interest on the underpayment from March 15, 1989, to March 15, 1990.
Because P is not a closely held pass-through entity, and because P completed the contract after the effective date of section 460(b)(4), P is required to use the simplified marginal impact method. Any interest computed under the look-back method will be paid to, or collected from, P, rather than its partners, and must be reported to each of the partners on Form 1065 as interest income or expense. Further, assume that, for the redetermination years, Corporation M is subject to alternative minimum tax at the rate of 20 percent and 3 of the individuals who own interests in P are subject to the highest marginal tax rate of 33 percent in 1988. Regardless of the actual marginal tax rates of its partners, P is required to determine the underpayment or overpayment of tax for each redetermination year at the entity level by applying a single rate to the increase or decrease in income resulting from the reallocation of contract income under the look-back method. Because more than 50 percent of the interests in P are held by individuals, P must use the highest rate specified in section 1 for each redetermination year. Thus, the rate applied by P is 50 percent for 1986, 38.5 percent for 1987, and 28 percent for 1988.
Contract A is not taken into account for purposes of applying the look-back method, because it is subject to neither section 460 nor section 56(a)(3). Thus, even if W had used the percentage of completion method as permitted under § 1.451-3 , instead of the completed contract method, the look-back method would not be applicable because the Contract A was entered into before the effective date of section 460.
The actual costs allocated to Contracts B and C under section 460(c) and incurred in each year of the contract were as follows:
Contract | 1987 | 1988 | 1989 | Total |
B | $200 | $400 | $200 | $800 |
C | 100 | 300 | 400 | 800 |
In applying the look-back method, the first step is to allocate the contract price among tax years preceding and including the completion year. That allocation would produce the following amounts of gross income for purposes of the regular tax. Note that no income from Contract C is allocated to 1987, the year before the contract was entered into, even though contract costs were incurred in 1987:
Contract | 1987 | 1988 | 1989 |
B | $100 | $200 | $700 |
(40%X$200/$800X$1000) | ((40%X$600/$800X$1000)-$100) | ||
C | 0 | 500 | 500 |
($400/$800X$1000) |
Because the percentage of completion-capitalized cost method may not be used for alternative minimum tax purposes, the allocation of contract income would produce the following amounts of gross income for purposes of computing alternative minimum taxable income:
Contract | 1987 | 1988 | 1989 |
B | $250 | $500 | $250 |
($200/$800X$1000) | (($600/$800X$1000)-$250) | ||
C | 0 | 500 | 500 |
e = estimate
a = amount originally reported (actual)
h = hypothetical
1988 | Total | ||
D | E | ||
1988 contract costs | $3,000a | $2,000a | |
Total contract costs | 8,000e | 8,000e | |
Total contract price | 10,000e | 10,000e | |
1988 completion % | 37.5e | 25e | |
1988 gross income | 3,750a | 2,500a | |
Less, 1988 costs | (3,000a) | (2,000a) | |
1988 net contract income | 750a | 500a | $1,250a |
Other 1988 net income (loss) | (2,000a) | ||
Taxable income (NOL) | (750a) | ||
Tax | 0a | ||
Refund from NOL carryback fully absorbed in 1985, at 46% | 345a |
1989 | Total | ||
D | E | ||
1989 contract costs | $3,000a | 0a | |
Total contract costs | 6,000a | $9,000e | |
Total contract price | 10,000a | 10,000e | |
1989 completion % | 100a | 22.2e | |
1989 gross income/(loss) | 6,250a | (278a) | |
Less, 1989 costs | (3,000a) | 0a | |
1989 net contract income | 3,250a | (278a) | $2,972a |
Other 1989 net income (loss) | 0a | ||
Taxable income (NOL) | 2,972a | ||
Tax at 34% | 1,011a |
1988 | Total | ||
D | E | ||
1988 contract costs | $3,000a | $2,000a | |
Total contract costs | 6,000a | 8,000e | |
Total contract price | 10,000a | 10,000e | |
1988 completion % | 50a | 25e | |
1988 gross income | 5,000h | 2,500a | |
Less, 1988 costs | (3,000a) | (2,000a) | |
1988 net contract income | 2,000h | 500a | $2,500h |
Other 1988 net income (loss) | (2,000a) | ||
Taxable income (NOL) | 500h | ||
Tax at 34% | 170h | ||
Less, previously computed tax | -0a | ||
Underpayment of 1988 tax | 170h | ||
Underpayment of 1985 tax from NOL carryback refund in 1988 | 345h | ||
Total underpayment of tax | 515h |
For purposes of any subsequent application of the look-back method for which 1989 is a redetermination year, because the reallocation of contract income and redetermination of tax liability are cumulative, X will use for 1989 the amount of contract D income and the amount of tax liability that would have been reported in 1989 if X had used actual contract costs instead of the amounts that were originally reported using the estimate of $8,000. Assuming no subsequent revisions (due to, for example, adjustments to contract D price and costs determined after the end of 1989), this amount would be determined as follows:
1989 | Total | ||
D | E | ||
1989 contract costs | $3,000a | 0a | |
Total contract costs | 6,000a | $9,000e | |
Total contract price | 10,000a | 10,000e | |
1989 completion % | 100a | 22.2e | |
1989 gross income | 5,000h | (278a) | |
Less, 1989 costs | (3,000a) | 0a | |
1989 net contract income | 2,000h | (278a) | $1,722h |
Other 1989 net income (loss) | 0a | ||
Taxable income (NOL) | 1,722h | ||
Tax at 34% | 585h |
1990 | Total | ||
D | E | ||
1990 contract costs | $7,000a | ||
Total contract costs | 9,000a | ||
Total contract price | 10,000a | ||
1990 completion % | 100a | ||
1990 gross income | 7,778a | ||
Less, 1990 costs | (7,000a) | ||
1990 net contract income | 778a | $778a | |
Other 1990 net income (loss) | 0a | ||
Taxable income (NOL) | 778a | ||
Tax at 34% | 265a |
This results in the following hypothetical overpayment of tax for 1988. Note that X uses the amount of income for contract D determined in the last previous application of the look-back method, and not the amount of income actually reported:
1988 | Total | ||
D | E | ||
1988 contract costs | $3,000a | $2,000a | |
Total contract costs | $6,000a | $9,000a | |
Total contract price | $10,000a | $10,000a | |
1988 completion (%) | 50a | 22.2a | |
1988 gross income | $5,000h | $2,222h | |
Less, 1988 costs | ($3,000a) | ($2,000a) | |
1988 net contract income | $2,000h | $222h | $2,222h |
Other 1988 net income (loss) | ($2,000a) | ||
Taxable income (NOL) | $222h | ||
Tax at 34% | $75h | ||
Less, previously computed tax (based on most recent application of the look-back method) | $170h | ||
Overpayment of 1988 tax | ($95h) |
In applying the look-back method to 1989, X again uses the amounts substituted as of the last previous application of the look-back method with respect to contract D. Thus, X computes its hypothetical underpayment for 1989 as follows:
1989 | Total | ||
D | E | ||
1989 contract costs | $3,000a | 0a | |
Total contract costs | $6,000a | $9,000a | |
Total contract price | $10,000a | $10,000a | |
1989 completion (%) | 100a | 22.2a | |
1989 gross income | $5,000h | $0h | |
Less, 1989 costs | ($3,000a) | ($0a) | |
1989 net contract income | $2,000h | 0a | $2,000h |
Other 1989 net income (loss) | ($0a) | ||
Taxable income (NOL) | $2,000h | ||
Tax at 34% | $680h | ||
Less, previously computed tax | $585h | ||
Underpayment of 1989 tax | $95h |
For purposes of any subsequent application of the look-back method for which 1990 is a redetermination year, X will use for 1990 the amount of Contract E income, and the amount of tax liability, that was originally reported in 1990 because X's estimate of the total contract costs from $8,000 to $9,000 did not change after 1989. Without regard to any subsequent revisions, these amounts are the same as in the table in paragraph (h)(3)(iv) above.
For purposes of the look-back method, X must allocate the revised total Contract E price of $12,700 between 1988, 1989 and 1990 based on the actual total Contract E costs, and compare the resulting revised tax liability with the tax liability determined for the last previous application of the look-back method involving those years. This results in the following hypothetical underpayments of tax for purposes of the look-back method:
r = revised
1988 | Total | ||
D | E | ||
1988 contract costs | $3,000a | $2,000a | |
Total contract costs | $6,000a | $9,000a | |
Total contract price | $10,000a | $12,700r | |
1988 completion (%) | 50a | 22.2a | |
1988 gross income | $5,000h | $2,822rh | |
Less, 1988 costs | ($3,000a) | ($2,000a) | |
1988 net contract income | $2,000h | 822rh | $2,222rh |
Other 1988 net income (loss) | ($2,000a) | ||
Taxable income | $822rh | ||
Tax at 34% | $279rh | ||
Less, previously computed tax | $75h | ||
Underpayment of 1988 tax | $204rh |
No Contract E costs were incurred in 1989, and there is no hypothetical underpayment for 1989.
1990 | |||
D | E | Total | |
1990 contract costs | $7,000a | ||
Total contract costs | $9,000a | ||
Total contract price | $12,700r | ||
1990 completion (%) | 100a | ||
1990 gross income | $9,878rh | ||
Less 1990 costs | ($7,000a) | ||
1990 net contract income | $2,878rh | $2,878rh | |
Other 1990 net income (loss) | 0a | ||
Taxable income (NOL) | $2,878rh | ||
Tax at 34% | $978rh | ||
Less, previously computed tax | $265h | ||
Underpayment of 1990 tax | $713rh |
In 1992, X incurs an additional cost of $1,000 allocable to the contract, which was not previously includible in total contract costs. Applying the Federal mid-term rate then in effect, the $1,000 has a discounted value at the time of contract completion of $800. X deducts this additional $1,000 in expenses in 1992. Based on this increase to contract costs, X reapplies the look-back method, and determines the following hypothetical underpayments for 1988, 1989 and 1990 for purposes of the look-back method:
1988 | Total | ||
D | E | ||
1988 contract costs | $3,000a | $2,000a | |
Total contract costs | $6,000a | $9,800r | |
Total contract price | $10,000a | $12,700r | |
1988 completion (%) | 50a | 20.4r | |
1988 gross income | $5,000h | $2,592rh | |
Less, 1988 costs | ($3,000a) | ($2,000a) | |
1988 net contract income | $2,000h | 592rh | $2,592rh |
Other 1988 net income (loss) | ($2,000a) | ||
Taxable income (NOL) | $592rh | ||
Tax at 34% | $201rh | ||
Less, previously computed tax | $279rh | ||
Overpayment of 1988 tax | ($78rh) |
No Contract E costs were incured in 1989, and there is no hypothetical underpayment for 1989.
1990 | Total | ||
D | E | ||
1990 contract costs | $7,000a | ||
Total contract costs | 9,800r | ||
Total contract price | 12,700r | ||
1990 completion (%) | 92a | ||
1990 gross income | 9,071rh | ||
Less, 1990 costs | (7,000a) | ||
1990 Net contract income | 2,071rh | $2,071rh | |
Other 1990 net income (loss) | 0a | ||
Taxable income (NOL) | 2,071rh | ||
Tax at 34% | 704rh | ||
Less, previously computed tax | 978rh | ||
Overpayment of 1990 tax | (274rh) |
Y enters into a long-term contract in 1988 that is completed in 1989. Y used regular tax costs for purposes of determining the degree of contract completion under the alternative minimum tax.
1988 contract costs | $4,000a |
Total contract costs | $8,000e |
Total contract price | $20,000e |
1988 completion (%) | 50e |
1988 gross income | $10,000a |
Less, 1988 contract costs | ($4,000a |
1988 net contract income | $6,000a |
Other 1988 net income/(loss) | ($3,400a) |
Taxable income | $2,600a |
Regular tax at 34% | 884a |
Adjustments and preferences to produce alternative minimum taxable income | $600a |
Alternative minimum taxable income | $3,200a |
Tentative minimum tax at 20% | 640a |
Tax liability | $884a |
In 1989, Y determines the following amounts:
1989 contract costs | $6,000a |
Total contract costs | $10,000a |
Total contract price | $20,000a |
1988 contract costs | $4,000a |
Total contract costs | $10,000a |
Total contract price | $20,000a |
1988 completion(%) | 40a |
1988 gross income | $8,000h |
less, 1988 contract costs | ($4,000a) |
1988 net contract income | $4,000h |
Other 1988 net income/(loss) | ($3,400a) |
Taxable income | $600h |
Regular tax at 34% | $204h |
Adjustments and preferences to produce alternative minimum taxable income | $600a |
Alternative minimum taxable income | $1,200h |
Tentative minimum tax at 20% | 240h |
Alternative minimum tax | $36h |
Total tax liability | $240h |
less, previously computed tax | $884a |
Underpayment/(overpayment) | ($644h) |
1986 contract costs | $400a |
Total contract costs | $1,000e |
Total contract price | $2,000e |
1986 completion (%) | 40e |
1986 gross income | $800a |
Less, 1986 costs | ($400a) |
1986 net contract income | $400a |
Other 1986 net income | $0a |
Taxable income | $400a |
Tax at 46% | $184a |
Unused tax credits carried forward from 1985 allowable in 1986 | $350a |
Net tax due | $0a |
Z determines the following amounts for 1987:
1987 contract costs | $400a |
Total contract price | $2,000a |
Total contract costs | $800a |
If Z had used actual rather than estimated contract costs in determining gross income for 1986, Z would have reported tax liability of $276 (46%x$600) rather than $184. However, Z would have paid no additional tax for 1986 because its unused tax credits carried forward from 1985 would have been sufficient to offset this increased tax liability. Therefore, there is no hypothetical underpayment for 1986 for purposes of the look-back method. However, this hypothetical earlier use of the credit may increase the hypothetical tax liability for 1987 (or another subsequent year) for purposes of subsequent applications of the look-back method.
1986 contract costs | $400a |
Total contract costs | $1,000e |
Total contract price | $2,000e |
1986 completion (%) | 40e |
1986 gross income | $800a |
Less, 1986 costs | ($400a) |
1986 net contract income | $400a |
Other 1986 net income/(loss) | ($1,000a) |
Taxable income/(NOL) | ($600a) |
Tax | $0a |
A elected to carry this loss forward to 1987 pursuant to section 172(b)(3)(C).
For 1987, A determined the following amounts:
1987 contract costs | $400a |
Total contract costs | $800a |
Total contract price | $2,000a |
If actual rather than estimated contract costs had been used in determining gross income for 1986, A would have reported $1,000 of gross income from the contract rather than $800, and thus would have reported a loss of $400 rather than $600. However, since A would have paid no tax for 1986 regardless of whether actual or estimated contract costs had been used, A does not have an underpayment for 1986 for purposes of the look-back method. If A had, instead, carried back the 1986 NOL, and this NOL had been absorbed in the tax years 1983 through 1985, it would have resulted in refunds of tax for those years in 1986. When A applies the look-back method, a hypothetical underpayment of tax would have resulted for those years due to a hypothetical reduction in the amount that would have been refunded if income had been reported on the basis of actual contract costs. See Example 2(iii).
Table 1 to Paragraph (h)(8)(iii)
Estimates | 2017 |
Gross Income | $500 = ($2,000 * 25%) |
Deductions | $(250) = ($1,000 * 25%) |
Contract Income-PCM | $250 |
Table 2 to Paragraph (h)(8)(iii)(A)
Actual | 2017 |
Gross Income | $750 = ($3,000 * 25%) |
Deductions | $(250) = ($1,000 * 25%) |
Contract Income-PCM | $500 |
For 1987: | |
1987 contract costs | 0 |
Total contract costs | $1,000e |
Total contract price | $2,000e |
1987 completion (%) | $40e |
1987 gross income | 0a |
Less, 1987 costs | 0a |
Other 1987 net income | $600a |
Net operating loss carryforward from 1986 | $(600a) |
Taxable income | 0a |
Tax | 0a |
For 1988: | |
1988 contract costs | $400a |
Total contract costs | $800a |
Total contract price | $2,000a |
If actual rather than estimated contract costs had been used in determining gross income for 1986, A would have reported $1,000 of gross income from the contract for 1986 rather than $800, and would have reported a net operating loss carryforward to 1987 of $400 rather than $600. Therefore, A would have reported taxable income of $200, and would have paid tax of $80 (i.e., $200 * 40%) for 1987. The due date for filing A's Federal income tax return for its 1988 taxable year is March 15. A obtains an extension and files its 1988 return on September 15, 1989. Under the look-back method, A is required to pay interest on the amount of this hypothetical underpayment ($80) computed from the due date (determined without regard to extensions) for A's return for 1987 (not 1986, even though 1986 was the year in which the net operating loss arose) until March 15 (not September 15), the due date (without regard to extensions) of A's return for 1988. A is required to pay additional interest from March 15 until September 15 on the amount of interest outstanding as of March 15 with respect to the hypothetical underpayment of $80.
1986 contract costs | $400a |
Total contract costs | $1,000e |
Total contract price | $2,000e |
1986 completion (%) | 40e |
1986 gross income | $800a |
Less, 1986 costs | ($400a) |
1986 net contract income | $400a |
Other 1986 net income | $2,000a |
Taxable income | $2,400a |
Tax at 46% | $1,104a |
B determines its tax liability for 1987 as follows: | |
1987 contract costs | $400a |
Total contract costs | $1,600e |
Total contract price | $2,000e |
1987 completion (%) | 50e |
1987 gross income | $200a |
( = (50% * $2,000)-$800 previously reported) less, 1987 costs | ($400a) |
1987 net contract income | ($200a) |
Other 1987 net income/(loss) | ($2,200a) |
Taxable income (NOL) | ($2,400a) |
Tax | 0a |
Assume that B had no taxable income in either 1984 or 1985, so that the entire amount of the $2,400 net operating loss is carried back to 1986, and B receives a refund, with interest from the due date of B's 1987 return, of the entire $1,104 in tax that it paid for 1986.
In 1988, B determines the following amounts:
1988 contract costs | $800a |
Total contract costs | $1,600a |
Total contract price | $2,000a |
If B had used actual contract costs rather than estimated costs in determining its gross income for 1986, B would have had gross income from the contract of $500 rather than $800, and thus would have had taxable income of $2,100 rather than $2,400, and would have paid tax of $966 rather than $1,104. B is entitled to receive interest on the difference between these two amounts, the hypothetical overpayment of tax of $138. Interest is computed from the due date (without regard to extensions) of B's return for 1986 until the due date for B's return for 1987. Interest stops running at this date, because B's hypothetical overpayment of tax ended when B filed its original 1987 return and received a refund for the carryback to 1986, and interest on this refund began to run only from the due date of B's 1987 return. See section 6611(f).
1986 contract costs | $400a |
Total contract costs | $1,000e |
Total contract price | $2,000e |
1986 completion (%) | 40e |
1986 gross income | $800a |
less, 1986 costs | ($400a) |
1986 net contract income | $400a |
Other 1986 net income | $2,000a |
Taxable income (NOL) | $2,400a |
Tax at 46% | $1,104a |
C determines its tax liability for 1987 as follows:
1987 contract costs | $400a |
Total contract costs | $1,066e |
Total contract price | $2,000e |
1987 completion (%) | 75e |
1987 gross income | $700a |
Less, 1987 costs | ($400a) |
1987 net contract income | $300a |
Other 1987 net income | ($2,450a) |
Taxable income (NOL) | ($2,150a) |
Tax | $10a |
C carries back the net operating loss to 1986, and files an amended return for 1986, showing taxable income of $250, and receives a refund of $989 (46% * $2,150). Interest on this refund begins to run only as of the due date of C's 1987 return. See section 6611(f).
In 1988, when the contract is completed, C determines the following amounts:
1988 contract costs | $800a |
Total contract costs | $1,600a |
Total contract price | $2,000a |
If C had used actual contract price and contract costs in determining gross income for 1986, it would have reported gross income from the contract of $500 rather than $800, taxable income of $2,100 rather than $2,400, and tax liability of $966 rather than $1,104.
If C had used actual contract price and contract costs in determining gross income for 1987, it would have reported gross income from the contract of $500 rather than $700, and would have reported a net operating loss of $2,350, rather than $2,150, which would have been carried back to 1986.
Under the look-back method, C receives interest with respect to a total 1986 hypothetical overpayment of $138 ($1,104 minus $966). C is credited with interest on $23 of this amount only from the due date of C's 1986 return until the due date of C's 1987 tax return, because this portion of C's total hypothetical overpayment for 1986 was refunded to C with interest computed from the due date of C's 1987 return and, therefore, was no longer held by the government. However, because the remainder of the total hypothetical overpayment of $115 was not refunded to C, C is credited with interest on this amount from the due date of C's 1986 return until the due date of C's 1988 tax return.
Under the look-back method, C receives no interest with respect to 1987, because C had no tax liability for 1987 using either estimated or actual contract price and costs.
26 C.F.R. §1.460-6