EXAMPLE (1).
Corporation A acquires a 10-acre tract for $10,000, which it divides into 20 lots. The $10,000 cost must be equitably apportioned among the lots so that on the sale of each, Corporation A can determine its taxable gain or deductible loss.
EXAMPLE (2).
Corporation B purchases for $25,000 property consisting of a used car lot and adjoining filling station. At the time, the fair market value of the filling station is $15,000 and the fair market value of the used car lot is $10,000. Five years later Corporation B sells the filling station for $20,000 at a time when $2,000 has been properly allowed as a depreciation thereon. Corporation B's gain on this sale is $7,000, since $7,000 is the amount by which the selling price of the filling station exceeds the portion of the cost equitably allocable to the filling station at the time of purchase reduced by the depreciation properly allowed.
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* Except for provisions relating to capital assets, this regulation is substantially the same as Section 26 CFR 1.61-6.
Cal. Code Regs. Tit. 18, § 24271(d)