8. INCOME TAX
The Company’s net deferred tax assets are as follows:
| December 31, 2017 | ||||
| Deferred tax asset | ||||
| Unrealized loss on marketable securities | $ | 8,033 | ||
| Total deferred tax asset | 8,033 | |||
| Valuation allowance | (8,033 | ) | ||
| Deferred tax asset, net of allowance | $ | — | ||
The income tax provision consists of the following:
For the period from September 11, 2017 (inception) through December 31, 2017 |
||||
| Federal | ||||
| Current | $ | 3,635 | ||
| Deferred | (8,033 | ) | ||
| State | ||||
| Current | $ | — | ||
| Deferred | — | |||
| Change in valuation allowance | 8,033 | |||
| Income tax provision | $ | 3,635 | ||
In assessing the realization of the deferred tax assets, management considers whether it is more likely than not that some portion of all of the deferred tax assets will not be realized. The ultimate realization of deferred tax assets is dependent upon the generation of future taxable income during the periods in which temporary differences representing net future deductible amounts become deductible. Management considers the scheduled reversal of deferred tax liabilities, projected future taxable income and tax planning strategies in making this assessment. After consideration of all of the information available, management believes that significant uncertainty exists with respect to future realization of the deferred tax assets and has therefore established a full valuation allowance. For the period from September 11, 2017 (inception) through December 31, 2017, the change in the valuation allowance was $8,033.
A reconciliation of the federal income tax rate to the Company’s effective tax rate at December 31, 2017 is as follows:
| Statutory federal income tax rate | (34.0 | )% | ||
| State taxes, net of federal tax benefit | 0.0 | % | ||
| Deferred tax rate change | 18.0 | % | ||
| Change in valuation allowance | 29.1 | % | ||
| Income tax provision (benefit) | 13.1 | % |
The Company files income tax returns in the U.S. federal jurisdiction in various state and local jurisdictions and is subject to examination by the various taxing authorities. The Company considers New York to be a significant state tax jurisdiction.