[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: 26CFR1.1244(d)-1]

[Page 345-346]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.1244(d)-1  Contributions of property having basis in excess of value.

    (a) In general. (1) Section 1244(d)(1) (A) provides a special rule 
which limits the amount of loss on section 1244 stock that may be 
treated as an ordinary loss. This rule applies only when section 1244 
stock is issued by a corporation in exchange for property that, 
immediately before the exchange, has an adjusted basis (for determining 
loss) in excess of its fair market value. If section 1244 stock is 
issued in exchange for such property and the basis of such stock in the 
hands of the taxpayer is determined by reference to the basis of such 
property, then for purposes of section 1244, the basis of such stock 
shall be reduced by an amount equal to the excess, at the time of the 
exchange, of the adjusted basis of the property over its fair market 
value.

[[Page 346]]

    (2) The provisions of section 1244(d) (1)(A) do not affect the basis 
of stock for purposes other than section 1244. Such provisions are to be 
used only in determining the portion of the total loss sustained that 
may be treated as an ordinary loss pursuant to section 1244.
    (b) Transfer of more than one item. If a taxpayer exchanges several 
items of property for stock in a single transaction so that the basis of 
the property transferred is allocated evenly among the shares of stock 
received, the computation under this section should be made by reference 
to the aggregate fair market value and the aggregate basis of the 
property transferred.
    (c) Examples. The provisions of this section may be illustrated by 
the following examples:

    Example 1. B transfers property with an adjusted basis of $1,000 and 
a fair market value of $250 to a corporation for 10 shares of section 
1244 stock in an exchange that qualifies under section 351. The basis of 
B's stock is $1,000 ($100 per share), but, solely for purposes of 
section 1244, the total basis of the stock must be reduced by $750, the 
excess of the adjusted basis of the property exchanged over its fair 
market value. Thus, the basis of such stock for purposes of section 1244 
is $250 and the basis of each share for such purposes is $25. If B sells 
his 10 shares for $250, he will recognize a loss of $750, all of which 
must be treated as a capital loss. If he sells the 10 shares for $200, 
then $50 of his total loss of $800 will be treated as an ordinary loss 
under section 1244, assuming the various requirements of such section 
are satisfied, and the remaining $750 will be a capital loss.
    Example 2. B owns property with a basis of $20,000. The fair market 
value of the property unencumbered is $15,000 but the property is 
subject to a $2,000 mortgage. B transfers the encumbered property to a 
corporation for 100 shares of section 1244 stock in an exchange that 
qualifies under section 351. The basis of the shares, determined in 
accordance with section 358, is $18,000 or $180 per share, but solely 
for purposes of section 1244 the basis is $13,000 ($130 per share), 
which is its basis for purposes other than section 1244, reduced by 
$5,000, the excess of the adjusted basis, immediately before the 
exchange, of the property transferred over its fair market value.
    Example 3. C transfers business assets to a corporation for 100 
shares of section 1244 stock in an exchange that qualifies under section 
351. The assets transferred are as follows:

------------------------------------------------------------------------
                                                                 Fair
                                                     Basis      market
                                                                 value
------------------------------------------------------------------------
Cash............................................     $10,000     $10,000
Inventory.......................................      15,000      30,000
Depreciable property............................      50,000      20,000
Land............................................      25,000      10,000
                                                 -----------------------
                                                     100,000      70,000
------------------------------------------------------------------------


The basis for the shares received by C is $100,000, which is applied 
$1,000 to each share. However, the basis of the shares for purposes of 
section 1244 is $70,000 ($700 per share), the basis for general purposes 
reduced by $30,000, the excess of the aggregate adjusted basis of the 
property transferred over the aggregate fair market value of such 
property.

[T.D. 6495, 25 FR 9679, Oct. 8, 1960]