Section 351. The conclusion in Rev.
Rul. 74-503 that a transferor's basis in transferee stock received in exchange
for transferor stock is determined under section 362(a) of the Code is incorrect.
The other conclusions in the ruling are under study. Rev. Rul. 74-503 revoked.
In Rev. Rul. 74-503, 1974-2 C.B. 117, corporation X transferred shares
of its treasury stock to corporation Y in exchange for newly issued shares
of Y stock. In the exchange, X obtained 80 percent of the only outstanding
class of Y stock. Rev. Rul. 74-503 concludes that the basis of the X treasury
stock received by Y is zero and the basis of the newly issued Y stock received
by X is zero.
Rev. Rul. 74-503 states that X’s basis in the Y stock received
in the exchange is determined under § 362(a) of the Internal Revenue
Code. This conclusion is incorrect. Accordingly, Rev. Rul. 74-503, 1974-2
C.B.117, is revoked, effective December 20, 2005. The other conclusions in
the ruling, including the conclusions that X’s basis in the Y stock
received in the exchange and Y’s basis in the X stock received in the
exchange are zero, are under study.
Under the authority of § 7805(b), the Service will not challenge
a position taken prior to December 20, 2005, with respect to a transaction
occurring prior to such date, by a taxpayer that reasonably relied on the
conclusions in Rev. Rul. 74-503. See § 601.601(d)(2)(v)
of the Statement of Procedural Rules.
EFFECT ON OTHER DOCUMENTS
Rev. Rul. 74-503, 1974-2 C.B. 117, is revoked.
The principal author of this revenue ruling is Mary Goode of the Office
of Associate Chief Counsel (Corporate). For further information regarding
this revenue ruling, contact Ms. Goode at (202) 622-7930 (not a toll-free
call).
Internal Revenue Bulletin 2005-02
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