[Code of Federal Regulations]
[Title 26, Volume 8]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.734-1]

[Page 514-515]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
Determination of Tax Liability--Table of Contents
 
Sec. 1.734-1  Optional adjustment to basis of undistributed partnership 
property.

    (a) General rule. A partnership shall not adjust the basis of 
partnership property as the result of a distribution of property to a 
partner, unless the election provided in section 754 (relating to 
optional adjustment to basis of partnership property) is in effect.
    (b) Method of adjustment--(1) Increase in basis. Where an election 
under section 754 is in effect and a distribution of partnership 
property is made, whether or not in liquidation of the partner's entire 
interest in the partnership, the adjusted basis of the remaining 
partnership assets shall be increased by:
    (i) The amount of any gain recognized under section 731(a)(1) to the 
distributee partner, or
    (ii) The excess of the adjusted basis to the partnership immediately 
before the distribution of any property distributed (including 
adjustments under section 743(b) or section 732(d) when applied) over 
the basis under section 732 (including such special basis adjustments) 
of such property to the distributee partner.

The provisions of this subparagraph may be illustrated by the following 
examples:

    Example 1. Partner A has a basis of $10,000 for his one-third 
interest in partnership ABC. The partnership has no liabilities and has 
assets consisting of cash of $11,000 and property with a partnership 
basis of $19,000 and a value of $22,000. A receives $11,000 in cash in 
liquidation of his entire interest in the partnership. He has a gain of 
$1,000 under section 731(a)(1). If the election under section 754 is in 
effect, the partnership basis for the property becomes $20,000 ($19,000 
plus $1,000).
    Example 2. Partner D has a basis of $10,000 for his one-third 
interest in partnership DEF. The partnership balance sheet before the 
distribution shows the following:

                                 Assets
------------------------------------------------------------------------
                                          Adjusted basis       Value
------------------------------------------------------------------------
Cash..................................      $4,000           $4,000
Property X............................      11,000           11,000
Property Y............................      15,000           18,000
                                       --------------------
    Total.............................      30,000           33,000
------------------------------------------------------------------------


                         Liabilities and Capital
------------------------------------------------------------------------
                                          Adjusted basis       Value
------------------------------------------------------------------------
Liabilities...........................          $0               $0
Capital:
  D...................................      10,000           11,000
  E...................................      10,000           11,000
  F...................................      10,000           11,000
                                       --------------------
    Total.............................      30,000           33,000
------------------------------------------------------------------------


In liquidation of his entire interest in the partnership, D received 
property X with a partnership basis of $11,000. D's basis for property X 
is $10,000 under section 732(b). Where the election under section 754 is 
in effect, the excess of $1,000 (the partnership basis before the 
distribution less D's basis for property X after distribution) is added 
to the basis of property Y. The basis of property Y becomes $16,000 
($15,000 plus $1,000). If the distribution is made to a transferee 
partner who elects under section 732(d), see Sec. 1.734-2.

    (2) Decrease in basis. Where the election provided in section 754 is 
in effect and a distribution is made in liquidation of a partner's 
entire interest, the partnership shall decrease the adjusted basis of 
the remaining partnership property by:
    (i) The amount of loss, if any, recognized under section 731(a)(2) 
to the distributee partner, or
    (ii) The excess of the basis of the distributed property to the 
distributee, as determined under section 732 (including adjustments 
under section 743(b) or section 732(d) when applied) over the adjusted 
basis of such property to the partnership (including such special basis 
adjustments) immediately before such distribution.

The provisions of this subparagraph may be illustrated by the following 
examples:


[[Page 515]]


    Example 1. Partner G has a basis of $11,000 for his one-third 
interest in partnership GHI. Partnership assets consist of cash of 
$10,000 and property with a basis of $23,000 and a value of $20,000. 
There are no partnership liabilities. In liquidation of his entire 
interest in the partnership, G receives $10,000 in cash. He has a loss 
of $1,000 under section 731(a)(2). If the election under section 754 is 
in effect, the partnership basis for the property becomes $22,000 
($23,000 less $1,000).
    Example 2. Partner J has a basis of $11,000 for his one-third 
interest in partnership JKL. The partnership balance sheet before the 
distribution shows the following:

                                 Assets
------------------------------------------------------------------------
                                          Adjusted basis       Value
------------------------------------------------------------------------
Cash..................................      $5,000           $5,000
Property X............................      10,000           10,000
Property Y............................      18,000           15,000
                                       --------------------
    Total.............................      33,000           30,000
------------------------------------------------------------------------


                         Liabilities and Capital
------------------------------------------------------------------------
                                          Adjusted basis       Value
------------------------------------------------------------------------
Liabilities...........................          $0               $0
Capital:
  J...................................      11,000           10,000
  K...................................      11,000           10,000
  L...................................      11,000           10,000
                                       --------------------
    Total.............................      33,000           30,000
------------------------------------------------------------------------


In liquidation of his entire interest in the partnership, J receives 
property X with a partnership basis of $10,000. J's basis for property X 
under section 732(b) is $11,000. Where the election under section 754 is 
in effect, the excess of $1,000 ($11,000 basis of property X to J, the 
distributee, less its $10,000 adjusted basis to the partnership 
immediately before the distribution) decreases the basis of property Y 
in the partnership. Thus, the basis of property Y becomes $17,000 
($18,000 less $1,000). If the distribution is made to a transferee 
partner who elects under section 732(d), see Sec. 1.734-2.

    (c) Allocation of basis. For allocation among the partnership 
properties of basis adjustments under section 734(b) and paragraph (b) 
of this section, see section 755 and Sec. 1.755-1.
    (d) Returns. A partnership which must adjust the bases of 
partnership properties under section 734 shall attach a statement to the 
partnership return for the year of the distribution setting forth the 
computation of the adjustment and the partnership properties to which 
the adjustment has been allocated.
    (e) Recovery of adjustments to basis of partnership property--(1) 
Increases in basis. For purposes of section 168, if the basis of a 
partnership's recovery property is increased as a result of the 
distribution of property to a partner, then the increased portion of the 
basis must be taken into account as if it were newly-purchased recovery 
property placed in service when the distribution occurs. Consequently, 
any applicable recovery period and method may be used to determine the 
recovery allowance with respect to the increased portion of the basis. 
However, no change is made for purposes of determining the recovery 
allowance under section 168 for the portion of the basis for which there 
is no increase.
    (2) Decreases in basis. For purposes of section 168, if the basis of 
a partnership's recovery property is decreased as a result of the 
distribution of property to a partner, then the decrease in basis must 
be accounted for over the remaining recovery period of the property 
beginning with the recovery period in which the basis is decreased.
    (3) Effective date. This paragraph (e) applies to distributions of 
property from a partnership that occur on or after December 15, 1999.

[T.D. 6500, 25 FR 11814, Nov. 26, 1960; 25 FR 14021, Dec. 31, 1960, as 
amended by T.D. 8847, 64 FR 69908, Dec. 15, 1999]