Example: A, who makes his return on a calendar year basis, sold in 1954, for $100,000 cash, stock of X Corporation, which operates a radio broadcasting station. A's basis of this stock was $75,000. The sale was certified by the Federal Communications Commission as provided in section 1071. Soon after, in the same taxable year, A used $50,000 of the proceeds of the sale to purchase stock in Y Corporation, which operates a radio broadcasting station. A elected in his 1954 return to treat such sale and purchase as an involuntary conversion subject to the provisions of section 1033. He also elected at the same time to reduce the basis of depreciable property by the amount of the gain that otherwise would be recognized under the provisions of section 1033, as made applicable by section 1071. The sale results in a recognized gain of $25,000 under section 1033. However, this gain is not recognized in this case because the taxpayer elected to reduce the basis of other property by the amount of the gain. This may be shown as follows:
(1) Sale price of X Corporation stock | $100,000 |
Basis for gain or loss | 75,000 |
Gain realized | 25,000 |
Proceeds of sale | 100,000 |
Amount expended to replace property sold | 50,000 |
Amount not expended in manner prescribed in section 1033 | 50,000 |
Realized gain, recognized under section 1033 (not to exceed the unexpended portion of proceeds of sale) | 25,000 |
Less: Amount applied as a reduction of basis of depreciable property | 25,000 |
Recognized gain for tax purposes | None |
Basis of property sold (converted) | $75,000 |
Less: Amount of proceeds not expended | 50,000 |
Balance | 25,000 |
Plus amount of gain recognized under section 1033 | 25,000 |
Basis of Y Corporation stock in A's hands | 50,000 |
26 C.F.R. §1.1071-2