Rev. Rul. 75-12
Rev. Rul. 75-12; 1975-1 C.B. 62
- Cross-Reference
26 CFR 1.163-1: Interest deduction in general.
(Also Section 461; 1.461-1.)
- Code Sections
- LanguageEnglish
- Tax Analysts Electronic Citationnot available
A loan discount, where the lender delivers to the borrower, an individual, an amount that is smaller than the face amount of the loan and the difference is the agreed charge for the use of borrowed money, is interest under section 163 of the Internal Revenue Code of 1954, and the year for its deduction depends upon the taxpayer's method of accounting. If the borrower uses the cash receipts and disbursements method of accounting, the discount is deductible by him only when he actually pays it. If the borrower uses the accrual method of accounting, the discount is deductible by him as it accrues. See Rev. Rul. 59-260, 1959-2 C.B. 137, and Rev. Rul. 68-643, 1968-2 C.B. 76, both of which relate to the year for deducting interest.
I.T. 3298, 1939-2 C.B. 164, is superseded, since the position stated therein is restated under the current statute and regulations in this Revenue Ruling.
1 Prepared pursuant to Rev. Proc. 67-6, 1967-1 C.B. 576.
- Cross-Reference
26 CFR 1.163-1: Interest deduction in general.
(Also Section 461; 1.461-1.)
- Code Sections
- LanguageEnglish
- Tax Analysts Electronic Citationnot available