[Code of Federal Regulations]
[Title 26, Volume 11]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.1031(b)-1]

[Page 83-85]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.1031(b)-1  Receipt of other property or money in tax-free exchange.

    (a) If the taxpayer receives other property (in addition to property 
permitted to be received without recognition of gain) or money--
    (1) In an exchange described in section 1031(a) of property held for 
investment or productive use in trade or business for property of like 
kind to be held either for productive use or for investment,
    (2) In an exchange described in section 1035(a) of insurance 
policies or annuity contracts,

[[Page 84]]

    (3) In an exchange described in section 1036(a) of common stock for 
common stock, or preferred stock for preferred stock, in the same 
corporation and not in connection with a corporate reorganization, or
    (4) In an exchange described in section 1037(a) of obligations of 
the United States, issued under the Second Liberty Bond Act (31 U.S.C. 
774 (2)), solely for other obligations issued under such Act, the gain, 
if any, to the taxpayer will be recognized under section 1031(b) in an 
amount not in excess of the sum of the money and the fair market value 
of the other property, but the loss, if any, to the taxpayer from such 
an exchange will not be recognized under section 1031(c) to any extent.
    (b) The application of this section may be illustrated by the 
following examples:

    Example 1. A, who is not a dealer in real estate, in 1954 exchanges 
real estate held for investment, which he purchased in 1940 for $5,000, 
for other real estate (to be held for productive use in trade or 
business) which has a fair market value of $6,000, and $2,000 in cash. 
The gain from the transaction is $3,000, but is recognized only to the 
extent of the cash received of $2,000.
    Example 2. (a) B, who uses the cash receipts and disbursements 
method of accounting and the calendar year as his taxable year, has 
never elected under section 454(a) to include in gross income currently 
the annual increase in the redemption price of non-interest-bearing 
obligations issued at a discount. In 1943, for $750 each, B purchased 
four $1,000 series E U.S. savings bonds bearing an issue date of March 
1, 1943.
    (b) On October 1, 1963, the redemption value of each such bond was 
$1,396, and the total redemption value of the four bonds was $5,584. On 
that date B submitted the four $1,000 series E bonds to the United 
States in a transaction in which one of such $1,000 bonds was reissued 
by issuing four $100 series E U.S. savings bonds bearing an issue date 
of March 1, 1943, and by considering six $100 series E bonds bearing an 
issue date of March 1, 1943, to have been issued. The redemption value 
of each such $100 series E bond was $139.60 on October 1, 1963. Then, as 
part of the transaction, the six $100 series E bonds so considered to 
have been issued and the three $1,000 series E bonds were exchanged, in 
an exchange qualifying under section 1037(a), for five $1,000 series H 
U.S. savings bonds plus $25.60 in cash.
    (c) The gain realized on the exchange qualifying under section 
1037(a) is $2,325.60, determined as follows:

Amount realized:
  Par value of five series H bonds...........................  $5,000.00
  Cash received..............................................      25.60
                                                   ------------
   Total realized............................................   5,025.60
Less: Adjusted basis of series E bonds surrendered in the
 exchange:
   Three $1,000 series E bonds....................  $2,250.00  .........
   Six $100 series E bonds at $75 each............     450.00  .........
                                                   -----------
                                                    .........   2,700.00
                                                              ----------
    Gain realized.................................  .........   2,325.60


    (d) Pursuant to section 1031(b), only $25.60 (the money received) of 
the total gain of $2,325.60 realized on the exchange is recognized at 
the time of exchange and must be included in B's gross income for 1963. 
The $2,300 balance of the gain ($2,325.60 less $25.60) must be included 
in B's gross income for the taxable year in which the series H bonds are 
redeemed or disposed of, or reach final maturity, whichever is earlier, 
as provided in paragraph (c) of Sec. 1.454-1.
    (e) The gain on the four $100 series E bonds, determined by using 
$75 as a basis for each such bond, must be included in B's gross income 
for the taxable year in which such bonds are redeemed or disposed of, or 
reach final maturity, whichever is earlier.
    Example 3. (a) The facts are the same as in example (2), except 
that, as part of the transaction, the $1,000 series E bond is reissued 
by considering ten $100 series E bonds bearing an issue date of March 1, 
1943, to have been issued. Six of the $100 series E bonds so considered 
to have been issued are surrendered to the United States as part of the 
exchange qualifying under section 1037(a) and the other four are 
immediately redeemed.
    (b) Pursuant to section 1031(b), only $25.60 (the money received) of 
the total gain of $2,325.60 realized on the exchange qualifying under 
section 1037(a) is recognized at the time of the exchange and must be 
included in B's gross income for 1963. The $2,300 balance of the gain 
($2,325.60 less $25.60) realized on such exchange must be included in 
B's gross income for the taxable year in which the series H bonds are 
redeemed or disposed of, or reach final maturity, whichever is earlier, 
as provided in paragraph (c) of Sec. 1.454-1.
    (c) The redemption on October 1, 1963, of the four $100 series E 
bonds considered to have been issued at such time results in gain of 
$258.40, which is then recognized and must be included in B's gross 
income for 1963. This gain of $258.40 is the difference between the 
$558.40 redemption value of such bonds on the date of the exchange and 
the $300 (4x$75) paid for such series E bonds in 1943.
    Example 4. On November 1, 1963, C purchased for $91 a marketable 
U.S. bond which was originally issued at its par value of $100 under the 
Second Liberty Bond Act. On February 1, 1964, in an exchange qualifying 
under section 1037(a), C surrendered the bond

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to the United States for another marketable U.S. bond, which then had a 
fair market value of $92, and $1.85 in cash, $0.85 of which was 
interest. The $0.85 interest received is includible in gross income for 
the taxable year of the exchange, but the $2 gain ($93 less $91) 
realized on the exchange is recognized for such year under section 
1031(b) to the extent of $1 (the money received). Under section 1031(d), 
C's basis in the bond received in exchange is $91 (his basis of $91 in 
the bond surrendered, reduced by the $1 money received and increased by 
the $1 gain recognized).

    (c) Consideration received in the form of an assumption of 
liabilities (or a transfer subject to a liability) is to be treated as 
other property or money for the purposes of section 1031(b). Where, on 
an exchange described in section 1031(b), each party to the exchange 
either assumes a liability of the other party or acquires property 
subject to a liability, then, in determining the amount of other 
property or money for purposes of section 1031(b), consideration given 
in the form of an assumption of liabilities (or a receipt of property 
subject to a liability) shall be offset against consideration received 
in the form of an assumption of liabilities (or a transfer subject to a 
liability). See Sec. 1.1031(d)-2, examples (1) and (2).

[T.D. 6500, 25 FR 11910, Nov. 26, 1960, as amended by T.D. 6935, 32 FR 
15822, Nov. 17, 1967]