We did not provide any current or deferred U.S. federal income tax provision or benefit for any of the periods presented because we have experienced operating losses since inception. When it is more likely than not that a tax asset cannot be realized through future income the Company must allow for this future tax benefit. We provided a full valuation allowance on the net deferred tax asset, consisting of net operating loss carry forwards, because management has determined that it is more likely than not that we will not earn income sufficient to realize the deferred tax assets during the carry forward period.
The Company has not taken a tax position that, if challenged, would have a material effect on the financial statements for the years ended February 2017 applicable under FASB ASC 740. We did not recognize any adjustment to the liability for uncertain tax position and therefore did not record any adjustment to the beginning balance of accumulated deficit on the balance sheet. All tax returns for the Company remain open.
The provision for income taxes differs from the amount computed by applying the statutory federal income tax rate to income before provision for income taxes. The sources and tax effects of the differences for the periods presented are as follows:
| Income tax provision at the federal statutory rate | 35 | % | ||
| Effect on operating losses | (35 | )% | ||
| - |
Changes in the net deferred tax assets consist of the following:
| February 28, 2017 | February 29, 2016 | |||||||
| Net operating loss carry forward | $ | 541,301 | $ | 242,844 | ||||
A reconciliation of income taxes computed at the statutory rate is as follows:
| February 28, | February 29, | |||||||
| 2017 | 2016 | |||||||
| Tax at statutory rate (35%) | $ | 189,455 | $ | 84,995 | ||||
| Increase in valuation allowance | (189,455 | ) | (84,995 | ) | ||||
| Net deferred tax asset | $ | - | $ | - | ||||
The net federal operating loss carry forward will expire 20 years from when incurred. This carry forward may be limited upon the consummation of a business combination under IRC Section 381.