Common use of Rollover rule Clause in Contracts

Rollover rule. X is a C corpora- tion that elects to become an S corporation effective January 1, 1996. On that date, X sells Blackacre with a basis of $0 and a value of $100,000 in exchange for a $100,000 note bearing a market rate of interest payable on January 1, 2001. X does not make the election under section 453(d) and, therefore, reports the $100,000 gain using the installment meth- od under section 453. In the year 2001, X has income of $100,000 on collecting the note, un- expired C year attributes of $0, recognized built-in loss of $0, current losses of $100,000, and taxable income of $0. If X had reported the $100,000 gain in 1996, X’s net recognized built-in gain from 1996 through 2001 would have been $75,000 greater than otherwise. Under paragraph (h) of this section, X has $75,000 net recognized built-in gain subject to tax under section 1374. X also must treat the $25,000 excess of the amount reported, $100,000, over the amount subject to tax, $75,000, as income reported under the install- ment method in the succeeding taxable year(s) in the recognition period, except to the extent X establishes that the $25,000 was not subject to tax under section 1374 in the year 2001 because X had an excess of recog- nized built-in loss over recognized built-in gain in the taxable year of the sale and suc- ceeding taxable year(s) in the recognition pe- riod.

Appears in 5 contracts

Samples: www.govinfo.gov, www.govinfo.gov, www.govinfo.gov

AutoNDA by SimpleDocs
Time is Money Join Law Insider Premium to draft better contracts faster.