Title 26 › Subtitle Subtitle A— - Income Taxes › Chapter CHAPTER 1— - NORMAL TAXES AND SURTAXES › Subchapter Subchapter S— - Tax Treatment of S Corporations and Their Shareholders › Part PART IV— - DEFINITIONS; MISCELLANEOUS › § 1377
Tells how to divide each tax item of an S corporation among its shareholders when ownership changes during a tax year. Normally, you split the item evenly by day and then give each shareholder the part for the days they owned shares. If a shareholder ends their ownership during the year and the company and all affected shareholders agree, the IRS can let you treat the year as two tax years so the split is done as if the first year ended on the date the shareholder left. Post-termination transition period — the time windows that follow an S-election ending (includes: from the day after the last S-corp day until the later of one year after that day or the return due date with extensions; a 120-day window after an audit adjustment of S-period items; and a 120-day window after a determination that the election had ended for a prior year). Affected shareholders — the departing shareholder and anyone they transferred shares to that year (or all shareholders if the shares went back to the company). Determination — an audit decision or an agreement that the company failed to qualify as an S corporation. Elections and revocations must follow IRS rules.
Full Legal Text
Internal Revenue Code — Source: USLM XML via OLRC
Legislative History
Reference
Citation
26 U.S.C. § 1377
Title 26 — Internal Revenue Code
Last Updated
Apr 6, 2026
Release point: 119-73