[Code of Federal Regulations]
[Title 26, Volume 11]
[Revised as of April 1, 2002]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.1014-9]

[Page 54-56]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
GAIN OR LOSS ON DISPOSITION OF PROPERTY--Table of Contents
 
Sec. 1.1014-9  Special rule with respect to DISC stock.

    (a) In general. If property consisting of stock of a DISC or former 
DISC (as defined in section 992(a) (1) or (3) as the case may be) is 
considered to have been acquired from a decedent (within the meaning of 
paragraph (a) or (b) of Sec. 1.1014-2), the uniform basis of such stock 
under section 1014, as determined pursuant to Secs. 1.1014-1 through 
1.1014-8 shall be reduced as provided in this section. Such uniform 
basis shall be reduced by the amount (hereinafter referred to in this 
section as the amount of reduction), if any, which the decedent would 
have included in his gross income under section 995(c) as a dividend if 
the decedent had lived and sold such stock at its fair market value on 
the estate tax valuation date. If the alternate valuation date for 
Federal estate tax purposes is elected under section 2032, in computing 
the gain which the decedent would have had if he had lived and sold the 
stock on the alternate valuation date, the decedent's basis shall be 
determined with reduction for any distributions with respect to the 
stock which may have been made, after the date of the decedent's death 
and on or before the alternate valuation date, from the DISC's 
previously taxed income (as defined in section 996(f)(2)). For this 
purpose, the last sentence of section 996(e)(2) (relating to reductions 
of basis of DISC stock) shall not apply. For purposes of this section, 
if the corporation is not a DISC or former DISC at the date of the 
decedent's death but is a DISC for a taxable year which begins after 
such date and on or before the alternate valuation date, the corporation 
will be considered to be a DISC or former DISC only if the alternate 
valuation date is elected. The provisions of this paragraph apply with 
respect to stock of a DISC or former DISC which is included in the gross 
estate of the decedent, including but not limited to property which--
    (1) Is acquired from the decedent before his death, and the entire 
property is subsequently included in the decedent's gross estate for 
estate tax purposes, or
    (2) Is acquired property described in paragraph (d) of Sec. 1.1014-
3.
    (b) Portion of property acquired from decedent before his death 
included in decedent's gross estate--(1) In general. In cases where, due 
to the operation of the estate tax, only a portion of property which 
consists of stock of a DISC or former DISC and which is acquired

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from a decedent before his death is included in the decedent's gross 
estate, the uniform basis of such stock under section 1014, as 
determined pursuant to Secs. 1.1014-1 through 1.1014-8, shall be reduced 
by an amount which bears the same ratio to the amount of reduction which 
would have been determined under paragraph (a) of this section if the 
entire property consisting of such stock were included in the decedent's 
gross estate as the value of such property included in the decedent's 
gross estate bears to the value of the entire property.
    (2) Example. The provisions of this paragraph may be illustrated by 
the following example:

    Example: The decedent creates a trust during his lifetime to pay the 
income to A for life, remainder to B or his estate. The trust instrument 
further provides that if the decedent shall survive A, the income shall 
be paid to the decedent for life. The decedent predeceases A, so that, 
due to the operation of the estate tax, only the present value of the 
remainder interest is included in the decedent's gross estate. The trust 
consists of 100 shares of the stock of X corporation (which is a DISC at 
the time the shares are transferred to the trust and at the time of the 
decedent's death) with an adjusted basis immediately prior to the 
decedent's death of $10,000 (as determined under section 1015). At the 
time of the decedent's death the value of the stock is $20,000, and the 
value of the remainder interest in the hands of B is $8,000. Applying 
the principles of paragraph (b)(3)(i) of Sec. 1.1014-6, the uniform 
basis of the entire property following the decedent's death, prior to 
reduction pursuant to this paragraph, is $14,000. The amount of 
reduction which would have been determined under paragraph (a) of this 
section if the entire property consisting of such stock of X corporation 
were included in the decedent's gross estate is $5,000. The uniform 
basis of the entire property following the decedent's death, as reduced 
pursuant to this paragraph, is $12,000, computed as follows:

Uniform basis under section 1014(a), prior to                    $14,000
 reduction pursuant to this paragraph..............
Less decrease in uniform basis (determined by the                  2,000
 following formula)................................
                                                    --------------------
[Reduction in uniform basis (to be determined)/
 $5,000 (amount of reduction if paragraph (a)
 applied)] =
[$8,000 (value of property included in gross estate/
 $20,000 (value of entire property)]
Uniform basis under section 1014(a) reduced                       12,000
 pursuant to this paragraph........................


    (c) Estate tax valuation date. For purposes of section 1014(d) and 
this section, the estate tax valuation date is the date of the 
decedent's death or, in the case of an election under section 2032, the 
applicable valuation date prescribed by that section.
    (d) Examples. The provisions of this section may be illustrated by 
the following examples:

    Example 1. At the date of A's death, his DISC stock has a fair 
market value of $100. The estate does not elect the alternate valuation 
allowed by section 2032, and A's basis in such stock is $60 at the date 
of his death. The person who acquires such stock from the decedent will 
take as a basis for such stock its fair market value at A's death 
($100), reduced by the amount which would have been included in A's 
gross income under section 995(c) as a dividend if A had sold stock on 
the date he died. Thus, if the amount that would have been treated as a 
dividend under section 995(c) were $30, such person will take a basis of 
$70 for such stock ($100, reduced by $30). If such person were 
immediately to sell the DISC stock so received for $100, $30 of the 
proceeds from the sale would be treated as a dividend by such person 
under section 995(c).
    Example 2. Assume the same facts as in example (1) except that the 
estate elects the alternate valuation allowed by section 2032, the DISC 
stock has a fair market value of $140 on the alternate valuation date, 
the amount that would have been treated as a dividend under section 
995(c) in the event of a sale on such date is $50 and the DISC has $20 
of previously taxed income which accrued after the date of the 
decedent's death and before the alternate valuation date. The basis of 
the person who acquires such stock will be $90 determined as follows:

(1) Fair market value of DISC stock at alternate                    $140
 valuation date.......................................
(2) Less: Amount which would have been treated as a                   50
 dividend under section 995(c)........................
                                                       -----------------
(3) Basis of person who acquires DISC stock...........                90


    If a distribution of $20 attributable to such previously taxed 
income had been made by the DISC on or before the alternate valuation 
date (with the DISC stock having a fair market value of $120 after such 
distribution), the basis of the person who acquires such stock will be 
$70 determined as follows:

(1) Fair market value of DISC stock at alternate                    $120
 valuation date.......................................
(2) Less: Amount which would have been treated as a                   50
 dividend under section 995(c)........................
                                                       -----------------
(3) Basis of person who acquires DISC stock...........                70



[[Page 56]]


[T.D. 7283, 38 FR 20825, Aug. 3, 1973]