Example: A partnership sells for $63 section 1245 property which has an adjusted basis to the partnership of $30 and a recomputed basis to the partnership of $60. The partnership recognizes under section 1245(a)(1) gain of $30, i.e., the lower of the amount realized ($63) or recomputed basis ($60), minus adjusted basis ($30). This result would not be changed if one or more partners had, in respect of the property, a special basis adjustment described in section 743(b) or had taken depreciation deductions in respect of such special basis adjustment.
Example: A, B, and C each hold a one-third interest in calendar year partnership ABC. On December 31, 1962, the firm holds section 1245 property which has an adjusted basis of $30,000 and a recomputed basis of $33,000. Depreciation deductions in respect of the property for 1962 were $3,000. On January 1, 1963, when D purchases C's partnership interest, the election under section 754 is in effect and a $5,000 special basis adjustment is made in respect of D to his one-third share of the common partnership adjusted basis for the property. For 1963 and 1964 the partnership deducts $6,000 as depreciation in respect of the property, thereby reducing its adjusted basis to $24,000, and D deducts $2,800, i.e., his distributive share of partnership depreciation ($2,000) plus depreciation in respect of his special basis adjustment ($800). On March 15, 1965, the partnership sells the property for $48,000. Since the partnership's recomputed basis for the property ($33,000, i.e., $24,000 adjusted basis plus $9,000 in depreciation deductions) is lower than the amount realized upon the sale ($48,000), the excess of recomputed basis over adjusted basis, or $9,000, is treated as partnership gain under section 1245(a)(1). D's distributive share of such gain is $3,000 (1/3 of $9,000). However, the amount of gain recognized by D under section 1245 (a)(1) is only $2,800, determined as follows:
(1) Adjusted basis: | ||
D's portion of partnership adjusted basis (1/3 of $24,000) | $8,000 | |
D's special basis adjustment as of December 31, 1964 ($5,000 minus $800) | 4,200 | |
D's adjusted basis | $12,200 | |
(2) Recomputed basis: | ||
D's adjusted basis | 12,200 | |
D's portion of partnership depreciation for 1963 and 1964, i.e., for periods after he acquired his partnership interest (1/3 of $6,000) | 2,000 | |
Depreciation for 1963 and 1964 in respect of D's special basis adjustment | 800 | |
D's recomputed basis | ||
15,000 | ||
(3) D's portion of amount realized by partnership (1/3 of $48,000) | 16,000 | |
(4) Gain recognized to D under section 1245(a)(1), i.e., the lower of (2) or (3), minus (1) | 2,800 |
26 C.F.R. §1.1245-1