[Code of Federal Regulations]
[Title 26, Volume 4]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.356-3]

[Page 233-234]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.356-3  Rules for treatment of securities as ``other property''.

    (a) As a general rule, for purposes of section 356, the term other 
property includes securities. However, it does not include securities 
permitted under section 354 or section 355 to be received tax free. 
Thus, when securities are surrendered in a transaction to which section 
354 or section 355 is applicable, the characterization of the securities 
received as ``other property'' does not include securities received 
where the principal amount of such securities does not exceed the 
principal amount of securities surrendered in the transaction. If a 
greater principal amount of securities is received in an exchange

[[Page 234]]

described in section 354 (other than subsection (c) or (d) thereof) or 
section 355 over the principal amount of securities surrendered, the 
term other property includes the fair market value of such excess 
principal amount as of the date of the exchange. If no securities are 
surrendered in exchange, the term other property includes the fair 
market value, as of the date of receipt, of the entire principal amount 
of the securities received.
    (b) Except as provided in Sec. 1.356-6, for purposes of this 
section, a right to acquire stock that is treated as a security for 
purposes of section 354 or 355 has no principal amount. Thus, such right 
is not other property when received in a transaction to which section 
356 applies (regardless of whether securities are surrendered in the 
exchange). This paragraph (b) applies to transactions occurring on or 
after March 9, 1998.
    (c) In the examples in this paragraph (c), stock means common stock 
and warrants means rights to acquire common stock. The following 
examples illustrate the rules of paragraph (a) of this section:

    Example 1. A, an individual, exchanged 100 shares of stock for 100 
shares of stock and a security in the principal amount of $1,000 with a 
fair market value of $990. The amount of $990 is treated as ``other 
property.''
    Example 2. B, an individual, exchanged 100 shares of stock and a 
security in the principal amount of $1,000 for 300 shares of stock and a 
security in the principal amount of $1,500. The security had a fair 
market value on the date of receipt of $1,575. The fair market value of 
the excess principal amount, or $525, is treated as ``other property.''
    Example 3. C, an individual, exchanged a security in the principal 
amount of $1,000 for 100 shares of stock and a security in the principal 
amount of $900. No part of the security received is treated as ``other 
property.''
    Example 4. D, an individual, exchanged a security in the principal 
amount of $1,000 for 100 shares of stock and a security in the principal 
amount of $1,200 with a fair market value of $1,100. The fair market 
value of the excess principal amount, or $183.33, is treated as ``other 
property.''
    Example 5. E, an individual, exchanged a security in the principal 
amount of $1,000 for another security in the principal amount of $1,200 
with a fair market value of $1,080. The fair market value of the excess 
principal amount, or $180, is treated as ``other property.''
    Example 6. F, an individual, exchanged a security in the principal 
amount of $1,000 for two different securities each in the principal 
amount of $750. One of the securities had a fair market value of $750, 
the other had a fair market value of $600. One-third of the fair market 
value of each security ($250 and $200) is treated as ``other property.''
    Example 7. G, an individual, exchanged stock for stock and a 
warrant. The warrant had no principal amount. Thus, G received no excess 
principal amount within the meaning of section 356(d).
    Example 8. H, an individual, exchanged a warrant for stock and a 
warrant. The warrants had no principal amount. Thus, H received no 
excess principal amount within the meaning of section 356(d).
    Example 9. I, an individual, exchanged a warrant for stock and a 
debt security. The warrant had no principal amount. The debt security 
had a $100 principal amount. I received $100 of excess principal amount 
within the meaning of section 356(d).

[T.D. 6500, 25 FR 11607, Nov. 26, 1960, as amended by T.D. 7616, 44 FR 
26869, May 8, 1979; T.D. 8752, 63 FR 410, Jan. 6, 1998; T.D. 8882, 65 FR 
31078, May 16, 2000]