[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: 26CFR1.1367-2]

[Page 748-750]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.1367-2  Adjustments to basis of indebtedness to shareholder.

    (a) In general. This section provides rules relating to adjustments 
required by subchapter S to the basis of indebtedness of an S 
corporation to a shareholder. For purposes of this section, shareholder 
advances not evidenced by separate written instruments and repayments on 
the advances (open account debt) are treated as a single indebtedness. 
The basis of indebtedness of the S corporation to a shareholder is 
reduced as provided in paragraph (b) of this section and restored as 
provided in paragraph (c) of this section.
    (b) Reduction in basis of indebtedness--(1) General rule. If, after 
making the adjustments required by section 1367(a)(1) for any taxable 
year of the S corporation, the amounts specified in section 1367(a)(2) 
(B), (C), (D), and (E) (relating to losses, deductions, noncapital, 
nondeductible expenses, and certain oil and gas depletion deductions) 
exceed the basis of a shareholder's stock in the corporation, the excess 
is applied to reduce (but not below zero) the basis of any indebtedness 
of the S corporation to the shareholder held by the shareholder at the 
close of the corporation's taxable year. Any such indebtedness that has 
been satisfied by the corporation, or disposed of or forgiven by the 
shareholder, during the taxable year, is not held by the shareholder at 
the close of that year and is not subject to basis reduction.
    (2) Termination of shareholder's interest in corporation during 
taxable year. If a shareholder terminates his or her interest in the 
corporation during the taxable year, the rules of this paragraph (b) are 
applied with respect to any indebtedness of the S corporation held by 
the shareholder immediately prior to the termination of the 
shareholder's interest in the corporation.
    (3) Multiple indebtedness. If a shareholder holds more than one 
indebtedness at the close of the corporation's taxable year or, if 
applicable, immediately prior to the termination of the shareholder's 
interest in the corporation, the reduction in basis is applied to each 
indebtedness in the same proportion that the basis of each indebtedness 
bears to the aggregate bases of the indebtedness to the shareholder.
    (c) Restoration of basis--(1) General rule. If, for any taxable year 
of an S corporation beginning after December 31, 1982, there has been a 
reduction in the basis of an indebtedness of the S corporation to a 
shareholder under section 1367(b)(2)(A), any net increase in any 
subsequent taxable year of the corporation is applied to restore that 
reduction. For purposes of this section, net increase with respect to a 
shareholder means the amount by which the shareholder's pro rata share 
of the items described in section 1367(a)(1) (relating to income items 
and excess deduction for depletion) exceed the items described in 
section 1367(a)(2) (relating to losses, deductions, noncapital, 
nondeductible expenses, certain oil and gas depletion deductions, and 
certain distributions) for the taxable year. These restoration rules 
apply only to indebtedness held by a shareholder as of the beginning of 
the taxable year in which the net increase arises. The reduction in 
basis of indebtedness must be restored before any net increase is 
applied to restore the basis of a shareholder's stock in an S 
corporation. In no event may the shareholder's basis of indebtedness be 
restored above the adjusted basis of the indebtedness under section 
1016(a), excluding any adjustments under section 1016(a)(17) for prior 
taxable years, determined as of the beginning of the taxable year in 
which the net increase arises.

[[Page 749]]

    (2) Multiple indebtedness. If a shareholder holds more than one 
indebtedness as of the beginning of a corporation's taxable year, any 
net increase is applied first to restore the reduction of basis in any 
indebtedness repaid (in whole or in part) in that taxable year to the 
extent necessary to offset any gain that would otherwise be realized on 
the repayment. Any remaining net increase is applied to restore each 
outstanding indebtedness in proportion to the amount that the basis of 
each outstanding indebtedness has been reduced under section 
1367(b)(2)(A) and paragraph (b) of this section and not restored under 
section 1367(b)(2)(B) and this paragraph (c).
    (d) Time at which adjustments to basis of indebtedness are 
effective--(1) In general. The amounts of the adjustments to basis of 
indebtedness provided in section 1367(b)(2) and this section are 
determined as of the close of the corporation's taxable year, and the 
adjustments are generally effective as of the close of the corporation's 
taxable year. However, if the shareholder is not a shareholder in the 
corporation at that time, these adjustments are effective immediately 
before the shareholder terminates his or her interest in the 
corporation. If a debt is disposed of or repaid in whole or in part 
before the close of the taxable year, the basis of that indebtedness is 
restored under paragraph (c) of this section, effective immediately 
before the disposition or the first repayment on the debt during the 
taxable year.
    (2) Effect of election under section 1377(a)(2) or Sec. 1.1368-
1(g)(2). If an election is made under section 1377(a)(2) (to terminate 
the year in the case of the termination of a shareholder's interest) or 
under Sec. 1.1368-1(g)(2) (to terminate the year in the case of a 
qualifying disposition), this paragraph (d) applies as if the taxable 
year consisted of separate taxable years, the first of which ends at the 
close of the day on which the shareholder either terminates his or her 
interest in the corporation or disposes of a substantial amount of 
stock, whichever the case may be.
    (e) Examples. The following examples illustrate the principles of 
Sec. 1.1367-2. In each example, the corporation is a calendar year S 
corporation. The lending transactions described in the examples do not 
result in foregone interest (within the meaning of section 7872(e)(2)), 
original issue discount (within the meaning of section 1273), or total 
unstated interest (within the meaning of section 483(b)).

    Example 1. Reduction in basis of indebtedness. (i) A has been the 
sole shareholder in Corporation S since 1992. In 1993, A loans S $1,000 
(Debt No. 1), which is evidenced by a ten-year promissory note in the 
face amount of $1,000. In 1996, A loans S $5,000 (Debt No. 2), which is 
evidenced by a demand promissory note. On December 31, 1996, the basis 
of A's stock is zero; the basis of Debt No. 1 has been reduced under 
paragraph (b) of this section to $0; and the basis of Debt No. 2 has 
been reduced to $1,000. On January 1, 1997, A loans S $4,000 (Debt No. 
3), which is evidenced by a demand promissory note. For S's 1997 taxable 
year, the sum of the amounts specified in section 1367(a)(1) (in this 
case, nonseparately computed income and the excess deduction for 
depletion) is $6,000, and the sum of the amounts specified in section 
1367(a)(2) (B), (D), and (E) (in this case, items of separately stated 
deductions and losses, noncapital, nondeductible expenses, and certain 
oil and gas depletion deductions--there is no nonseparately computed 
loss) is $10,000. Corporation S makes no payments to A on any of the 
loans during 1997.
    (ii) The $4,000 excess of loss and deduction items is applied to 
reduce the basis of each indebtedness in proportion to the basis of that 
indebtedness over the aggregate bases of the indebtedness to the 
shareholder (determined immediately before any adjustment under section 
1367(b)(2)(A) and paragraph (b) of this section is effective for the 
taxable year). Thus, the basis of Debt No. 2 is reduced in an amount 
equal to $800 ($4,000 (excess)x$1,000 (basis of Debt No. 2)/$5,000 
(total basis of all debt)). Similarly, the basis in Debt No. 3 is 
reduced in an amount equal to $3,200 ($4,000x$4,000/$5,000). 
Accordingly, on December 31, 1997, A's basis in his stock is zero and 
his bases in the three debts are as follows:

----------------------------------------------------------------------------------------------------------------
                                                                  1/1/96   12/31/96   1/1/97   12/31/97   1/1/98
                              Debt                                basis   reduction   basis   reduction   basis
----------------------------------------------------------------------------------------------------------------
No. 1..........................................................   $1,000     $1,000       $0         $0       $0
No. 2..........................................................    5,000      4,000    1,000        800      200
No. 3..........................................................  .......  .........    4,000      3,200      800
----------------------------------------------------------------------------------------------------------------

    Example 2. Restoration of basis of indebtedness. (i) The facts are 
the same as in Example 1. On July 1, 1998, S completely repays Debt No. 
3, and, for S's 1998 taxable year, the net increase (within the meaning 
of paragraph (c) of this section) with respect to A equals $4,500.

[[Page 750]]

    (ii) The net increase is applied first to restore the bases in the 
debts held on January 1, 1998, before any of the net increase is applied 
to increase A's basis in his shares of S stock. The net increase is 
applied to restore first the reduction of basis in indebtedness repaid 
in 1998. Any remaining net increase is applied to restore the bases of 
the outstanding debts in proportion to the amount that each of these 
outstanding debts have been reduced previously under paragraph (b) of 
this section and have not been restored. As of December 31, 1998, the 
total reduction in A's debts held on January 1, 1998 equals $9,000. 
Thus, the basis of Debt No. 3 is restored by $3,200 (the amount of the 
previous reduction) to $4,000. A's basis in Debt No. 3 is treated as 
restored immediately before that debt is repaid. Accordingly, A does not 
realize any gain on the repayment. The remaining net increase of $1,300 
($4,500-$3,200) is applied to restore the bases of Debt No. 1 and Debt 
No. 2. As of December 31, 1998, the total reduction in these outstanding 
debts is $5,800 ($9,000-$3,200). The basis of Debt No. 1 is restored in 
an amount equal to $224 ($1,300x$1,000/$5,800). Similarly, the basis in 
Debt No. 2 is restored in an amount equal to $1,076 ($1,300x$4,800/
$5,800). On December 31, 1998, A's basis in his S stock is zero and his 
bases in the two remaining debts are as follows:

------------------------------------------------------------------------
   Original        Amount                        Amount       12/31/98
    basis         reduced      1/1/98 basis     restored        basis
------------------------------------------------------------------------
     $1,000         $1,000             $0           $224           $224
      5,000          4,800            200          1,076          1,276
------------------------------------------------------------------------

    Example 3. Full restoration of basis in indebtedness when debt is 
repaid in part during the taxable year. (i) C has been a shareholder in 
Corporation S since 1992. In 1997, C loans S $1,000. S issues its note 
to C in the amount of $1,000, of which $950 is payable on March 1, 1998, 
and $50 is payable on March 1, 1999. On December 31, 1997, C's basis in 
all her shares of S stock is zero and her basis in the note has been 
reduced under paragraph (b) of this section to $900. For 1998, the net 
increase (within the meaning of paragraph (c) of this section) with 
respect to C is $300.
    (ii) Because C's basis of indebtedness was reduced in a prior 
taxable year under Sec. 1.1367-2(b), the net increase for 1998 is 
applied to restore this reduction. The restored basis cannot exceed the 
adjusted basis of the debt as of the beginning of the first day of 1998, 
excluding prior adjustments under section 1367, or $1,000. Therefore, 
$100 of the $300 net increase is applied to restore the basis of the 
debt from $900 to $1,000 effective immediately before the repayment on 
March 1, 1998. The remaining net increase of $200 increases C's basis in 
her stock.
    Example 4. Determination of net increase--distribution in excess of 
increase in basis. (i) D has been the sole shareholder in Corporation S 
since 1990. On January 1, 1996, D loans S $10,000 in return for a note 
from S in the amount of $10,000 of which $5,000 is payable on each of 
January 1, 2000, and January 1, 2001. On December 31, 1997, the basis of 
D's shares of S stock is zero, and his basis in the note has been 
reduced under paragraph (b) of this section to $8,000. During 1998, the 
sum of the items under section 1367(a)(1) (relating to increases in 
basis of stock) with respect to D equals $10,000 (in this case, 
nonseparately computed income), and the sum of the items under section 
1367(a)(2)(B), (C), (D), and (E) (relating to decreases in basis of 
stock) with respect to D equals $0. During 1998, S also makes 
distributions to D totaling $11,000. This distribution is an item that 
reduces basis of stock under section 1367(a)(2)(A) and must be taken 
into account for purposes of determining whether there is a net increase 
for the taxable year. Thus, for 1998, there is no net increase with 
respect to D because the amount of the items provided in section 
1367(a)(1) do not exceed the amount of the items provided in section 
1367(a)(2).
    (ii) Because there is no net increase with respect to D for 1998, 
none of the 1997 reduction in D's basis in the indebtedness is restored. 
The $10,000 increase in basis under section 1367(a)(1) is applied to 
increase D's basis in his S stock. Under section 1367(a)(2)(A), the 
$11,000 distribution with respect to D's stock reduces D's basis in his 
shares of S stock to $0. See section 1368 and Sec. 1.1368-1 (c) and (d) 
for the tax treatment of the $1,000 distribution in excess of D's basis.
    Example 5. Distributions less than increase in basis. (i) The facts 
are the same as in Example 4, except that in 1998 S makes distributions 
to D totaling $8,000. On these facts, for 1998, there is a net increase 
with respect to D of $2,000 (the amount by which the items provided in 
section 1367(a)(1) exceed the amount of the items provided in section 
1367(a)(2)).
    (ii) Because there is a net increase of $2,000 with respect to D for 
1998, $2,000 of the $10,000 increase in basis under section 1367(a)(1) 
is first applied to restore D's basis in the indebtedness to $10,000 
($8,000 + $2,000). Accordingly, on December 31, 1998, D has a basis in 
his shares of S stock of $0 ($0 + $8,000 (increase in basis remaining 
after restoring basis in indebtedness)--$8,000 (distribution)) and a 
basis in the note of $10,000.

[T.D. 8508, 59 FR 16, Jan. 3, 1994]