[Code of Federal Regulations]
[Title 26, Volume 1]
[Revised as of April 1, 2003]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.48-5]

[Page 346-347]
 
                       TITLE 26--INTERNAL REVENUE
 
     CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY
 
PART 1--INCOME TAXES--Table of Contents
 
Sec. 1.48-5  Electing small business corporations.

    (a) In general. (1) In the case of an electing small business 
corporation (as defined in section 1371(b)), the basis of ``new section 
38 property'' and the cost of ``used section 38 property'' placed in 
service during the taxable year shall be apportioned pro rata among the 
persons who are shareholders of such corporation on the last day of such 
corporation's taxable year. Section 38 property shall not (by reason of 
such apportionment) lose its character as new section 38 property or 
used section 38 property, as the case may be. The estimated useful life 
of such property in the hands of a shareholder shall be deemed to be the 
estimated useful life of such property in the hands of the electing 
small business corporation. The bases of all new section 38 properties 
which have a useful life falling within a particular useful life 
category shall be aggregated; likewise, the cost of all used section 38 
properties which have a useful life falling within a particular useful 
life category shall be aggregated. The total bases of new section 38 
properties within each useful life category and the total cost of used 
section 38 properties within each useful life category shall be 
apportioned separately. The useful life categories are:
    (i) 3 years or more but less than 5 years; (ii) 5 years or more but 
less than 7 years; and (iii) 7 years or more. There shall be apportioned 
to each person who is a shareholder of the electing small business 
corporation on the last day of the taxable year of such corporation, for 
his taxable year in which or with which the taxable year of such 
corporation ends, his pro rata share of the total bases of new section 
38 properties within each useful life category, and his pro rata share 
of the total cost of used section 38 properties within each useful life 
category. In determining who are shareholders of an electing small 
business corporation on the last day of its taxable year, the rules of 
paragraph (d)(1) of Sec. 1.1371-1 and of paragraph (a)(2) of 
Sec. 1.1373-1 shall apply.
    (2) The total cost of used section 38 property that may be 
apportioned by an electing small business corporation to its 
shareholders for any taxable year of such corporation shall not exceed 
$50,000. If the total cost of used section 38 property placed in service 
during the taxable year by the electing small business corporation 
exceeds $50,000 such corporation must select, under paragraph (c)(4) of 
Sec. 1.48-3, the used section 38 property the cost of which is to be 
apportioned to its shareholders.
    (3) A shareholder to whom the basis (or cost) of section 38 property 
is apportioned shall, for purposes of the credit allowed by section 38, 
be treated as the taxpayer with respect to such property. Thus, the 
total cost of used section 38 property apportioned to him by the 
electing small business corporation must be taken into account as cost 
of used section 38 property in determining whether the $50,000 
limitation on the cost of used section 38 property which may be taken 
into account by the shareholder in computing qualified investment for 
any taxable year is exceeded. If a shareholder takes into account in 
determining his qualified investment any portion of the basis (or cost) 
of section 38 property placed in service by an electing small business 
corporation and if such property subsequently is disposed of or 
otherwise ceases to be section 38 property in the

[[Page 347]]

hands of the corporation, such shareholder shall be subject to the 
provisions of section 47. See Sec. 1.47-4.
    (b) Summary statement. An electing small business corporation shall 
attach to its return a statement showing the apportionment to each 
shareholder of the total bases of new, and the total cost of used, 
section 38 properties within each useful life category.
    (c) Example. This section may be illustrated by the following 
example:

    Example. 1 X Corporation, an electing small business corporation 
which makes its return on the basis of the calendar year, acquires and 
places in service on June 1, 1962, three new assets which qualify as new 
section 38 property and three used assets which qualify as used section 
38 property. The basis of each new, and the cost of each used, section 
38 property and the estimated useful life of each property are as 
follows:

------------------------------------------------------------------------
                                         Basis (or    Estimated useful
               Asset No.                   cost)            life
------------------------------------------------------------------------
1 (new)...............................     $30,000  4 years.
2 (new)...............................      30,000  4 years.
3 (new)...............................      30,000  8 years.
4 (used)..............................      12,000  6 years.
5 (used)..............................      12,000  6 years.
6 (used)..............................      12,000  8 years.
------------------------------------------------------------------------


On December 31, 1962, X Corporation has 10 shares of stock outstanding 
which are owned as follows: A owns 3 shares, B owns 2 shares, and C owns 
5 shares.
    (2) Under this section, the total bases of the new, and the total 
cost of the used, section 38 properties are apportioned to the 
shareholders of X Corporation as follows:

----------------------------------------------------------------------------------------------------------------
                                                    New--4 to 6    New--8 years    Used--6 to 8    Used--8 years
              Useful life category                     years          or more          years          or more
----------------------------------------------------------------------------------------------------------------
  Total bases or total cost.....................         $60,000         $30,000         $24,000         $12,000
                                                 ===============================================================
Shareholder A (\3/10\)..........................          18,000           9,000           7,200           3,600
Shareholder B (\2/10\)..........................          12,000           6,000           4,800           2,400
Shareholder C (\5/10\)..........................          30,000          15,000          12,000           6,000
----------------------------------------------------------------------------------------------------------------

Assume that shareholders A, B and C did not place in service during 
their taxable years in which falls December 31, 1962 (the last day of X 
Corporation's taxable year) any section 38 property and that such 
shareholders did not own any interests in other electing small business 
corporations, partnerships, estates, or trusts. Under section 46(c), the 
qualified investment of shareholder A is $23,400, of shareholder B is 
$15,600, and of shareholder C is $39,000, computed as follows:

------------------------------------------------------------------------
                                                  Applicable   Qualified
                 Basis (or cost)                  percentage  investment
------------------------------------------------------------------------
                              Shareholder A

------------------------------------------------------------------------
$18,000 (new)...................................     33\1/3\      $6,000
$9,000 (new)....................................       100         9,000
$7,200 (used)...................................     66\2/3\       4,800
$3,600 (used)...................................       100         3,600
                                                 -----------------------
    Total.......................................  ..........      23,400
------------------------------------------------------------------------
                              Shareholder B

------------------------------------------------------------------------
$12,000 (new)...................................     33\1/3\      $4,000
$6,000 (new)....................................       100         6,000
$4,800 (used)...................................     66\2/3\       3,200
$2,400 (used)...................................       100         2,400
                                                 -----------------------
    Total.......................................  ..........      15,600
------------------------------------------------------------------------
                              Shareholder C

------------------------------------------------------------------------
$30,000 (new)...................................     33\1/3\     $10,000
$15,000 (new)...................................       100        15,000
$12,000 (used)..................................     66\2/3\       8,000
$6,000 (used)...................................       100         6,000
                                                 -----------------------
    Total...................................................      39,000
------------------------------------------------------------------------


[T.D. 6731, 29 FR 6082, May 8, 1964, as amended by T.D. 6931, 32 FR 
14040, Oct. 10, 1967; T.D. 7203, 37 FR 17133, Aug. 25, 1972]