Publication 542
taxmap/pubs/p542-002.htm#TXMP3beeb2b2This section explains the tax treatment of contributions from
shareholders and nonshareholders.
taxmap/pubs/p542-002.htm#TXMP4eb08bc6Contributions to the capital of a corporation, whether or not
by shareholders, are paid-in capital. These contributions are not taxable to the
corporation.
taxmap/pubs/p542-002.htm#TXMP7e7c89aaThe corporation's basis of property contributed to capital by
a shareholder is the same as the basis the shareholder had in the property,
increased by any gain the shareholder recognized on the exchange. However, the
increase for the gain recognized may be limited. For more information, see
Basis of property transferred,
earlier, and section 362 of the Internal Revenue Code.
The basis of property contributed to capital by a person other
than a shareholder is zero.
If a corporation receives a cash contribution from a person other
than a shareholder, the corporation must reduce the basis of any property
acquired with the contribution during the 12-month period beginning on the day
it received the contribution by the amount of the contribution. If the amount
contributed is more than the cost of the property acquired, then reduce, but not
below zero, the basis of the other properties held by the corporation on the
last day of the 12-month period in the following order.
- Depreciable property.
- Amortizable property.
- Property subject to cost depletion but not to percentage depletion.
- All other remaining properties.
Reduce the basis of property in each category to zero before
going on to the next category.
There may be more than one piece of property in each category.
Base the reduction of the basis of each property on the following ratio:
| | Basis of each piece of property |
| | Bases of all properties (within that category) |
If the corporation wishes to make this adjustment in some other
way, it must get IRS approval. The corporation files a request for approval with
its income tax return for the tax year in which it receives the contribution.