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006.05.308-26-51-411. GAIN OR LOSS - SALES OF PROPERTY

AR ADC 006.05.308-26-51-411Arkansas Administrative Code

West's Arkansas Administrative Code
Title 006. Department of Finance and Administration
Division 05. Division of Revenues
Rule 308. Comprehensive Corporation Income Tax Regulations (Refs & Annos)
Ark. Admin. Code 006.05.308-26-51-411
006.05.308-26-51-411. GAIN OR LOSS - SALES OF PROPERTY
1.26-51-411 Amount Realized on Sale of Property
The amount realized from the sale or other disposition of property is the sum of any money received plus the fair market value of any property (other than money) received. The fair market value of property is a question of fact, but only in rare and extraordinary cases does property have no fair market value.
In computing the amount of gain or loss, the cost or other basis of the property sold shall be adjusted for items properly chargeable to the seller's capital account. Adjustments include expenditures (such as to maintain effective usefulness, losses, improvements, carrying charges (such as taxes) on nonproductive property, and deductions for exhaustion, wear and tear, obsolescence and depletion.
Any carrying charges deducted to compute taxable income will not be used to increase basis. Deductions allowable since the acquisition of the property, whether or not actually claimed by the taxpayer or formally allowed, will be used to adjust basis. Reduction in basis due to depletion shall not exceed such a deduction computed without reference to discovery for mines, oil and gas wells. The basis of stock shares must be reduced by the amount of previous distributions made as returns of capital.
2.26-51-411 Sale of Shares of Stock
When shares of stock in a corporation are sold from lots purchased at different dates and at different prices and the identity of the lots cannot be determined, the stock sold shall be charged against the earliest purchases of such stock. The excess of the amount realized on the sale over the cost or other basis of the stock will constitute gain.
When a dividend is paid with the stock of the dividend payor, the basis for determining gain or loss from the sale of shares of such stock shall be the difference between the sale price and the quotient (or result) of the cost or other basis of the original shares of stock divided by the total number of the old and new shares.
When common stock is received as a bonus with the purchase of preferred stock or bonds, the total purchase price shall be fairly apportioned between such common stock and the securities purchased for the purpose of determining the portion of the cost attributable to each class of stock or securities. However, should that not be feasible, no profit on any subsequent sale of any part of the stock or securities will be realized until the total cost is recovered from the sale proceeds.
When a corporation issues to its shareholders rights to subscribe to its stock, the value of the rights do not constitute taxable income to a shareholder, although gain may be derived or loss sustained by a shareholder from the sale of such rights. The following rules shall apply:
(1) If the shareholder does not exercise, but rather sells his rights to subscribe, the cost or other basis of the stock with respect to which the rights are issued shall be apportioned between the rights and the stock in proportion to their respective values at the time the rights are issued. The basis for determining gain or loss from the sale of a right or a share of such stock will be the quotient (or result) of the cost or other basis assigned to the right or the stock divided by the number of rights issued or by the number of shares held.
(2) If the shareholder exercises his rights to subscribe, the basis for determining gain or loss from a subsequent sale of a share of the stock obtained through exercising the rights shall be determined by dividing the part of the cost or other basis of the old shares assigned to the rights, including the subscription price of the new shares, by the number of new shares obtained.
(3) If the stock with respect to which the rights are issued was purchased at different times and at different prices and the identity of the lots cannot be determined, or if such stock was purchased at different times and at different prices and the stock rights cannot be identified as having been issued with respect to any particular lot of such stock, the basis for determining the gain or loss from the sale of:
i. the old shares;
ii. the rights in cases where the rights are sold; or
iii. the old or new shares in cases where the rights are exercised, shall be calculated by applying the cost or ascertained value of the rights from the earliest purchased stock.
The taxpayer may, at its option, include the entire proceeds from the sale of stock rights in its gross income. The basis for determining gain or loss from the subsequent sale of stock with respect to which the rights were issued shall be the same as though the rights had not been issued.
3.26-51-411 Loss Carryforwards
For corporations, all losses shall be deducted in the year in which they occur with no carryforwards except for net operating losses and those provided for by ACA 26-51-436.
1.26-51-411(e) Sales of Real Estate or Personal Property
Gain or loss on installment sales of real estate or personal property will be treated as provided in Sections 453, 453A and 453B of the Internal Revenue Code of 1986, as in effect on January 1, 1995. Refer to 1995 Treasury Regulations § 1.453-4 et seq. and § 1.453A-1 et seq. for guidance in applying IRC Sections 453, 453A and 453B. For proper reporting of installment payments, see 2.26-51-404(a)(2) and 3.26-51-404(a)(2).
Current with amendments received through January 15, 2024. Some sections may be more current, see credit for details.
Ark. Admin. Code 006.05.308-26-51-411, AR ADC 006.05.308-26-51-411
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