[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: 26CFR1.1274-4]

[Page 536-538]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.1274-4  Test rate.

    (a) Determination of test rate of interest--(1) In general--(i) Test 
rate is the 3-month rate. Except as provided in paragraph (a)(2) of this 
section, the test rate of interest for a debt instrument issued in 
consideration for the sale or exchange of property is the 3-month rate.
    (ii) The 3-month rate. Except as provided in paragraph (a)(1)(iii) 
of this section, the 3-month rate is the lower of--
    (A) The lowest applicable Federal rate (based on the appropriate 
compounding period) in effect during the 3-month period ending with the 
first month in which there is a binding written contract that 
substantially sets forth the terms under which the sale or exchange is 
ultimately consummated; or
    (B) The lowest applicable Federal rate (based on the appropriate 
compounding period) in effect during the 3-month period ending with the 
month in which the sale or exchange occurs.
    (iii) Special rule if there is no binding written contract. If there 
is no binding written contract that substantially sets forth the terms 
under which the sale or exchange is ultimately consummated, the 3-month 
rate is the lowest applicable Federal rate (based on the appropriate 
compounding period) in effect during the 3-month period ending with the 
month in which the sale or exchange occurs.
    (2) Test rate for certain debt instruments--(i) Sale-leaseback 
transactions. Under section 1274(e) (relating to certain sale-leaseback 
transactions), the test rate is 110 percent of the 3-month rate 
determined under paragraph (a)(1) of this section. For purposes of 
section

[[Page 537]]

1274(e)(3), related party means a person related to the transferor 
within the meaning of section 267(b) or 707(b)(1).
    (ii) Qualified debt instrument. Under section 1274A(a), the test 
rate for a qualified debt instrument is no greater than 9 percent, 
compounded semiannually, or an equivalent rate based on an appropriate 
compounding period.
    (iii) Alternative test rate for short-term obligations--(A) 
Requirements. This paragraph (a)(2)(iii)(A) provides an alternative test 
rate under section 1274(d)(1)(D) for a debt instrument with a maturity 
of 1 year or less. This alternative test rate applies, however, only if 
the debt instrument provides for adequate stated interest using the 
alternative test rate, the issuer provides on the face of the debt 
instrument that the instrument qualifies as having adequate stated 
interest under section 1274(d)(1)(D), and the issuer and holder treat or 
agree to treat the instrument as having adequate stated interest.
    (B) Alternative test rate. For purposes of paragraph (a)(2)(iii)(A), 
the alternative test rate is the market yield on U.S. Treasury bills 
with the same maturity date as the debt instrument. If the same maturity 
date is not available, the market yield on U.S. Treasury bills that 
mature in the same week or month as the debt instrument is used. The 
alternative test rate is determined as of the date on which there is a 
binding written contract that substantially sets forth the terms under 
which the sale or exchange is ultimately consummated or as of the date 
of the sale or exchange, whichever date results in a lower rate. If 
there is no binding written contract, however, the alternative test rate 
is determined as of the date of the sale or exchange.
    (b) Applicable Federal rate. Except as otherwise provided in this 
section, the applicable Federal rate for a debt instrument is based on 
the term of the instrument (i.e., short-term, mid-term, or long-term). 
See section 1274(d)(1). The Internal Revenue Service publishes the 
applicable Federal rates for each month in the Internal Revenue Bulletin 
(see Sec. 601.601(d)(2)(ii) of this chapter). The applicable Federal 
rates are based on the yield to maturity of outstanding marketable 
obligations of the United States of similar maturities during the one 
month period ending on the 14th day of the month preceding the month for 
which the rates are applicable.
    (c) Special rules to determine the term of a debt instrument for 
purposes of determining the applicable Federal rate--(1) Installment 
obligation. If a debt instrument is an installment obligation (as 
defined in Sec. 1.1273-1(e)(1)), the term of the instrument is the 
instrument's weighted average maturity (as defined in Sec. 1.1273-
1(e)(3)).
    (2) Certain variable rate debt instruments--(i) In general. Except 
as otherwise provided in paragraph (c)(2)(ii) of this section, if a 
variable rate debt instrument (as defined in Sec. 1.1275-5(a)) provides 
for stated interest at a qualified floating rate (or rates), the term of 
the instrument is determined by reference to the longest interval 
between interest adjustment dates, or, if the variable rate debt 
instrument provides for a fixed rate, the interval between the issue 
date and the last day on which the fixed rate applies, if this interval 
is longer.
    (ii) Restrictions on adjustments. If, due to significant 
restrictions on variations in a qualified floating rate or the use of 
certain formulae pursuant to Sec. 1.1275-5(b)(2) (e.g., 15 percent of 
1-year LIBOR, plus 800 basis points), the rate in substance resembles a 
fixed rate, the applicable Federal rate is determined by reference to 
the term of the debt instrument.
    (3) Counting of either the issue date or the maturity date. The term 
of a debt instrument includes either the issue date or the maturity 
date, but not both dates.
    (4) Certain debt instruments that provide for principal payments 
uncertain as to time. If a debt instrument provides for principal 
payments that are fixed in total amount but uncertain as to time, the 
term of the instrument is determined by reference to the latest possible 
date on which a principal payment can be made or, in the case of an 
installment obligation, by reference to the longest weighted average 
maturity under any possible payment schedule.
    (d) Foreign currency loans. If all of the payments of a debt 
instrument are denominated in, or determined by reference to, a currency 
other than the

[[Page 538]]

U.S. dollar, the applicable Federal rate for the debt instrument is a 
foreign currency rate of interest that is analogous to the applicable 
Federal rate described in this section. For this purpose, an analogous 
rate of interest is a rate based on yields (with the appropriate 
compounding period) of the highest grade of outstanding marketable 
obligations denominated in such currency (excluding any obligations that 
benefit from special tax exemptions or preferential tax rates not 
available to debt instruments generally) with due consideration given to 
the maturities of the obligations.
    (e) Examples. The following examples illustrate the rules of this 
section.

    Example 1. Variable rate debt instrument that limits the amount of 
increase and decrease in the rate--(i) Facts. On July 1, 1996, A sells 
nonpublicly traded property to B in return for a 5-year debt instrument 
that provides for interest to be paid on July 1 of each year, beginning 
on July 1, 1997, based on the prime rate of a local bank on that date. 
However, the interest rate cannot increase or decrease from one year to 
the next by more than .25 percentage points (25 basis points).
    (ii) Significant restriction. The debt instrument is a variable rate 
debt instrument (as defined in Sec. 1.1275-5) that provides for stated 
interest at a qualified floating rate. Assume that based on all the 
facts and circumstances, the restriction is a significant restriction on 
the variations in the rate of interest. Under paragraph (c)(2)(ii) of 
this section, the applicable Federal rate is determined by reference to 
the term of the debt instrument, and the applicable Federal rate is the 
Federal mid-term rate.
    Example 2. Installment obligation--(i) Facts. On January 1, 1996, A 
sells nonpublicly traded property to B in exchange for a debt instrument 
that calls for a payment of $500,000 on January 1, 2001, and a payment 
of $1,000,000 on January 1, 2006. The debt instrument does not provide 
for any stated interest.
    (ii) Determination of term. The debt instrument is an installment 
obligation. Under paragraph (c)(1) of this section, the term of the debt 
instrument is its weighted average maturity (as defined in Sec. 1.1273-
1(e)(3)). The debt instrument's weighted average maturity is 8.33 years, 
which is the sum of (A) the ratio of the first payment to total payments 
(500,000/1,500,000), multiplied by the number of complete years from the 
issue date until the payment is due (5 years), and (B) the ratio of the 
second payment to total payments (1,000,000/1,500,000), multiplied by 
the number of complete years from the issue date until the second 
payment is due (10 years).
    (iii) Applicable Federal rate. Based on the calculation in paragraph 
(ii) of this example, the term of the debt instrument is treated as 8.33 
years. Consequently, the applicable Federal rate is the Federal mid-term 
rate.

[T.D. 8517, 59 FR 4823, Feb. 2, 1994]