Treasury Regulations (26 C.F.R.)

26 CFR § 1.367(a)-4

Special rule applicable to U.S. depreciated property.

Official textecfr.govlast amended

# (a)

Depreciated property used in the United States—(1) In general. A U.S. person that transfers U.S. depreciated property (as defined in paragraph (a)(2) of this section) to a foreign corporation in an exchange described in section 367(a)(1), must include in its gross income for the taxable year in which the transfer occurs ordinary income equal to the gain realized that would have been includible in the transferor's gross income as ordinary income under section 617(d)(1), 1245(a), 1250(a), 1252(a), 1254(a), or 1255(a), whichever is applicable, if at the time of the transfer the U.S. person had sold the property at its fair market value. Recapture of depreciation under this paragraph (a) is required regardless of whether the exception to section 367(a)(1) provided by § 1.367(a)-2(a)(2) applies to the transfer of the U.S. depreciated property. However, the transfer of the U.S. depreciated property may qualify for the exception with respect to realized gain that is not included in ordinary income pursuant to this paragraph (a).

(2) U.S. depreciated property. U.S. depreciated property subject to the rules of this paragraph (a) is any property that—

(i) Is either mining property (as defined in section 617(f)(2)), section 1245 property (as defined in section 1245(a)(3)), section 1250 property (as defined in section 1250(c)), farm land (as defined in section 1252(a)(2)), section 1254 property (as defined in section 1254(a)(3)), or section 126 property (as defined in section 1255(a)(2)); and

(ii) Has been used in the United States or has been described in section 168(g)(4) before its transfer.

(3) Property used within and without the United States. (i) If U.S. depreciated property has been used partly within and partly without the United States, then the amount required to be included in ordinary income pursuant to this paragraph (a) is reduced to an amount determined in accordance with the following formula:

(ii) For purposes of the fraction in paragraph (a)(3)(i) of this section, the “full recapture amount” is the amount that would otherwise be included in the transferor's income under paragraph (a)(1) of this section. “U.S. use” is the number of months that the property either was used within the United States or has been described in section 168(g)(4), and was subject to depreciation by the transferor or a related person. “Total use” is the total number of months that the property was used (or available for use), and subject to depreciation, by the transferor or a related person. For purposes of this paragraph (a)(3), property is not considered to have been in use outside of the United States during any period in which such property was, for purposes of section 168, treated as property not used predominantly outside the United States pursuant to section 168(g)(4). For purposes of this paragraph (a)(3), the term “related person” has the meaning set forth in § 1.367(d)-1(h).

# (b) Effective/applicability dates.

The rules of this section apply to transfers occurring on or after September 14, 2015, and to transfers occurring before September 14, 2015, resulting from entity classification elections made under § 301.7701-3 that are filed on or after September 14, 2015. For transfers occurring before this section is applicable, see §§ 1.367(a)-4 and 1.367(a)-4T as contained in 26 CFR part 1 revised as of April 1, 2016.

[T.D. 9803, 81 FR 91027, Dec. 16, 2016]

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In this part (40 sections)
  1. 1.356-7 · Rules for treatment of nonqualified preferred stock and other…
  2. 1.357-1 · Assumption of liability.
  3. 1.357-2 · Liabilities in excess of basis.
  4. 1.358-1 · Basis to distributees.
  5. 1.358-2 · Allocation of basis among nonrecognition property.
  6. 1.358-3 · Treatment of assumption of liabilities.
  7. 1.358-4 · Exceptions.
  8. 1.358-5 · Special rules for assumption of liabilities.
  9. 1.358-6 · Stock basis in certain triangular reorganizations.
  10. 1.358-7 · Transfers by partners and partnerships to corporations.
  11. 1.361-1 · Nonrecognition of gain or loss to corporations.
  12. 1.362-1 · Basis to corporations.
  13. 1.362-2 · Certain contributions to capital.
  14. 1.362-3 · Basis of importation property acquired in loss importation…
  15. 1.362-4 · Basis of loss duplication property.
  16. 1.367(a)-0 · Table of contents.
  17. 1.367(a)-1 · Transfers to foreign corporations subject to section…
  18. 1.367(a)-1T · Transfers to foreign corporations subject to section…
  19. 1.367(a)-2 · Exceptions for transfers of property for use in the active…
  20. 1.367(a)-3 · Treatment of transfers of stock or securities to foreign…
  21. 1.367(a)-4 · Special rule applicable to U.S. depreciated property.
  22. 1.367(a)-5 · [Reserved]
  23. 1.367(a)-6 · Transfer of foreign branch with previously deducted losses.
  24. 1.367(a)-6T · Transfer of foreign branch with previously deducted…
  25. 1.367(a)-7 · Outbound transfers of property described in section 361(a)…
  26. 1.367(a)-8 · Gain recognition agreement requirements.
  27. 1.367(a)-9T · Treatment of deemed section 351 exchanges pursuant to…
  28. 1.367(b)-0 · Table of contents.
  29. 1.367(b)-1 · Other transfers.
  30. 1.367(b)-2 · Definitions and special rules.
  31. 1.367(b)-3 · Repatriation of foreign corporate assets in certain…
  32. 1.367(b)-3T · Repatriation of foreign corporate assets in certain…
  33. 1.367(b)-4 · Acquisition of foreign corporate stock or assets by a…
  34. 1.367(b)-5 · Distributions of stock described in section 355.
  35. 1.367(b)-6 · Effective/applicability dates and coordination rules.
  36. 1.367(b)-7 · Carryover of earnings and profits and foreign income taxes…
  37. 1.367(b)-8 · Allocation of earnings and profits and foreign income…
  38. 1.367(b)-9 · Special rule for F reorganizations and similar…
  39. 1.367(b)-10 · Acquisition of parent stock or securities for property in…
  40. 1.367(b)-12 · Subsequent treatment of amounts attributed or included in…
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