26 C.F.R. § 1.1014-8   Bequest, devise, or inheritance of a remainder interest.


Title 26 - Internal Revenue


Title 26: Internal Revenue
PART 1—INCOME TAXES
Basis Rules of General Application

Browse Previous |  Browse Next

§ 1.1014-8   Bequest, devise, or inheritance of a remainder interest.

(a)(1) Where property is transferred for life, with remainder in fee, and the remainderman dies before the life tenant, no adjustment is made to the uniform basis of the property on the death of the remainderman (see paragraph (a) of §1.1014–4). However, the basis of the remainderman's heir, legatee, or devisee for the remainder interest is determined by adding to (or subtracting from) the part of the adjusted uniform basis assigned to the remainder interest (determined in accordance with the principles set forth in §§1.1014–4 through 1.1014–6) the difference between—

(i) The value of the remainder interest included in the remainderman's estate, and

(ii) The basis of the remainder interest immediately prior to the remainderman's death.

(2) The basis of any property distributed to the heir, legatee, or devisee upon termination of a trust (or legal life estate) or at any other time (unless included in the gross income of the legatee or devisee) shall be determined by adding to (or subtracting from) the adjusted uniform basis of the property thus distributed the difference between—

(i) The value of the remainder interest in the property included in the remainderman's estate, and

(ii) The basis of the remainder interest in the property immediately prior to the remainderman's death.

(b) The provisions of paragraph (a) of this section are illustrated by the following examples:

Example 1.  Assume that, under the will of a decedent, property consisting of common stock with a value of $1,000 at the time of the decedent's death is transferred in trust, to pay the income to A for life, remainder to B or to B's estate. B predeceases A and bequeaths the remainder interest to C. Assume that B dies on January 1, 1956, and that the value of the stock originally transferred is $1,600 at B's death. A's age at that time is 37. The value of the remainder interest included in B's estate is $547 (0.34185, remainder factor age 37, ×$1,600), and hence $547 is C's basis for the remainder interest immediately after B's death. Assume that C sells the remainder interest on January 1, 1961, when A's age is 42. C's basis for the remainder interest at the time of such sale is $596, computed as follows:

   Basis of remainder interest computed with respect to uniform        $391 basis of entire property (0.39131, remainder factor age 42, x$1,000, uniform basis of entire property)...................                        plusValue of remainder interest included in B's estate..      $547                        lessBasis of remainder interest immediately prior to B's       342 death (0.34185, remainder factor age 37, x$1,000)..                                                           ___       205                                                               ---------Basis of C's remainder interest at the time of sale...........       596 

Example 2.  Assume the same facts as in example (1), except that C does not sell the remainder interest. Upon A's death terminating the trust, C's basis for the stock distributed to him is computed as follows:

   Uniform basis of the property, adjusted to date of termination    $1,000 of the trust.................................................                        plusValue of remainder interests in the property at the       $547 time of B's death..................................                        lessB's share of uniform basis of the property at the          342 time of his death..................................                                                           ___       205                                                               ---------C's basis for the stock distributed to him upon the                1,205 termination of the trust..................................... 

Example 3.  Assume the same facts as in example (2), except that the property transferred is depreciable. Assume further that $100 of depreciation was allowed prior to B's death and that $50 of depreciation is allowed between the time of B's death and the termination of the trust. Upon A's death terminating the trust, C's basis for the property distributed to him is computed as follows:

   Uniform basis of the property, adjusted to date of termination of the trust:  Uniform basis immediately after decedent's death..    $1,000  Depreciation allowed following decedent's death...       150                                                     ----------                                                      ........      $350                        plusValue of remainder interest in the property at the         547 time of B's death..................................                        lessB's share of uniform basis of the property at the          308 time of his death (0.34185x$900, uniform basis at B's death).........................................                                                     ----------                                                           ___       239                                                               ---------C's basis for the property distributed to him upon the             1,089 termination of the trust..................................... 

(c) The rules stated in paragraph (a) of this section do not apply where the basis of the remainder interest in the hands of the remainderman's transferee is determined by reference to its cost to such transferee. See also paragraph (a) of §1.1014–4. Thus, if, in example (1) of paragraph (b) of this section B sold his remainder interest to C for $547 in cash, C's basis for the stock distributed to him upon the death of A terminating the trust is $547.

Browse Previous |  Browse Next






















chanrobles.com