| | 
  
    | Publication 225, Farmer's Tax Guide | 2006 Tax Year |  
                  
                     
                        
                           9.  
                              			    Dispositions of Property Used  in Farming
                            This is archived information that pertains only to the 2006 Tax Year. If youare looking for information for the current tax year, go to the Tax Prep Help Area.
 
                     When you dispose of property used in your farm business, your taxable gain or loss is usually a section 1231 gain or loss.
                        Its treatment as
                        ordinary income (which is taxed at the same rates as wages and interest income) or capital gain (which is generally taxed
                        at lower rates) is
                        determined under the rules for section 1231 transactions.
                        
                      When you dispose of depreciable property (section 1245 property or section 1250 property) at a gain, you may have to recognize
                        all or part of the
                        gain as ordinary income under the depreciation recapture rules. Any gain remaining after applying the depreciation recapture
                        rules is a section 1231
                        gain, which may be taxed as a capital gain.
                        
                      Gains and losses from property used in farming are reported on Form 4797, Sales of Business Property. Table 9-1 contains examples of
                        items reported on Form 4797 and refers to the part of that form on which they first should be reported. Chapter 16, Sample
                        Return, contains a sample
                        filled-in Form 4797.
                        
                      
                     
                        
                           
                              Topics - This chapter discusses:
                               
                     
                        
                           
                              Useful Items - You may want to see:
                               See chapter 17 for information about getting publications and forms.
                     
                   
                     
                        
                           
                              Section 1231  Gains and Losses
                               Section 1231 gains and losses are the taxable gains and losses from section 1231 transactions—generally, dispositions of property
                        used in
                        business. Their treatment as ordinary or capital, generally, depends on whether you have a net gain or a net loss from all
                        your section 1231
                        transactions in the tax year.
                        
                      
                        
                            
                            
                          Table 9-1.  Where to First Report Certain Items on Form 4797 
                              
                              
                                 
                                    | Type of property | Held 1 year or less
 | Held more than 1 year
 |  
                                    | 1 | Depreciable trade or business property: |  |  |  
                                    |  | a Sold or exchanged at a gain | Part II | Part III (1245, 1250) |  
                                    |  | b Sold or exchanged at a loss | Part II | Part I |  
                                    | 2 | Farmland held less than 10 years for which soil, water, or land clearing expenses were deducted: |  |  |  
                                    |  | a Sold at a gain | Part II | Part III (1252) |  
                                    |  | b Sold at a loss | Part II | Part I |  
                                    | 3 | All other farmland | Part II | Part I |  
                                    | 4 | Disposition of cost-sharing payment property described in section 126 | Part II | Part III (1255) |  
                                    | 5 | Cattle and horses used in a trade or business for draft, breeding, dairy, or sporting purposes: | Held less than 24 mos.
 | Held 24 mos. or more
 |  
                                    |  | a Sold at a gain | Part II | Part III (1245) |  
                                    |  | b Sold at a loss | Part II | Part I |  
                                    |  | c Raised cattle and horses sold at a gain | Part II | Part I |  
                                    | 6 | Livestock other than cattle and horses used in a trade or business for draft, breeding, dairy, or sporting purposes: | Held less than 12 mos.
 | Held 12 mos. or more
 |  
                                    |  | a Sold at a gain | Part II | Part III (1245) |  
                                    |  | b Sold at a loss | Part II | Part I |  
                                    |  | c Raised livestock sold at a gain | Part II | Part I |  
                        
                      
                           
                        If you have a gain from a section 1231 transaction, first determine whether any of the gain is ordinary income under the depreciation
                        recapture
                        rules (explained later). Do not take that gain into account as section 1231 gain.
                        
                      Section 1231 transactions.
                                Gain or loss on the following transactions is subject to section 1231 treatment.
                        
                         
                           
                              
                                 Sale or exchange of cattle and horses. The cattle and horses must be held for draft, breeding, dairy, or sporting purposes and
                                    held for 2 years or longer. 
                                 
                                 Sale or exchange of other livestock. This livestock must be held for draft, breeding, dairy, or sporting purposes and held for 1
                                    year or longer. Other livestock includes hogs, mules, sheep, and goats, but does not include poultry. 
                                 
                                 Sale or exchange of depreciable personal property. This property must be used in your business and held longer than 1 year.
                                    Generally, property held for the production of rents or royalties is considered to be used in a trade or business. Examples
                                    of depreciable personal
                                    property include farm machinery and trucks. It also includes amortizable section 197 intangibles. 
                                 
                                 Sale or exchange of real estate. This property must be used in your business and held longer than 1 year. Examples are your farm
                                    or ranch (including barns and sheds). 
                                 
                                 Sale or exchange of unharvested crops.
                                    The crop and land must be sold, exchanged, or involuntarily converted at the same time and to the same person,
                                    and the land must have been held longer than 1 year. You cannot keep any right or option to reacquire the land directly or
                                    indirectly (other than a
                                    right customarily incident to a mortgage or other security transaction). Growing crops sold with a lease on the land, even
                                    if sold to the same person
                                    in a single transaction, are not included. 
                                 
                                 Distributive share of partnership gains and losses. Your distributive share must be from the sale or exchange of property listed
                                    earlier and held longer than 1 year (or for the required period for certain livestock).
                                 
                                 Cutting or disposal of timber. You must treat the cutting or disposal of timber as a sale, as described in chapter 8 under
                                    Timber. 
                                 
                                 Condemnation. The condemned property (defined in chapter 11) must have been held longer than 1 year. It must be business property
                                    or a capital asset held in connection with a trade or business or a transaction entered into for profit, such as investment
                                    property. It cannot be
                                    property held for personal use. 
                                 
                                 Casualty or theft. The casualty or theft must have affected business property, property held for the production of rents or
                                    royalties, or investment property (such as notes and bonds). You must have held the property longer than 1 year. However,
                                    if your casualty or theft
                                    losses are more than your casualty or theft gains, neither the gains nor the losses are taken into account in the section
                                    1231 computation. Section
                                    1231 does not apply to personal casualty gains and losses. See chapter 11 for information on how to treat those gains and
                                    losses. 
                                  Property for sale to customers.
                                A sale, exchange, or involuntary conversion of property held mainly for sale to customers is not a section 1231 transaction.
                        If you will get back
                        all, or nearly all, of your investment in the property by selling it rather than by using it up in your business, it is property
                        held mainly for sale
                        to customers.
                        
                         Treatment as ordinary or capital.
                                To determine the treatment of section 1231 gains and losses, combine all your section 1231 gains and losses for the
                        year.
                        
                         
                           
                              
                                 If you have a net section 1231 loss, it is an ordinary loss.
                                 If you have a net section 1231 gain, it is ordinary income up to your nonrecaptured section 1231 losses from previous years,
                                    explained next.
                                    The rest, if any, is long-term capital gain.
                                  Nonrecaptured section 1231 losses.
                                Your nonrecaptured section 1231 losses are your net section 1231 losses for the previous 5 years that have not been
                        applied against a net section
                        1231 gain by treating the gain as ordinary income. These losses are applied against your net section 1231 gain beginning with
                        the earliest loss in the
                        5-year period.
                        
                         Example. In 2006, Ben has a $2,000 net section 1231 gain. To figure how much he has to report as ordinary income and long-term capital
                              gain, he must first
                              determine his section 1231 gains and losses from the previous 5-year period. From 2001 through 2005 he had the following section
                              1231 gains and
                              losses.
                              
                            
                              
                            
                              
                            Ben uses this information to figure how to report his net section 1231 gain for 2006 as shown below.
                              
                            
                              
                            
                              
                                 
                                 
                                    
                                       | 1) | Net section 1231 gain (2006) | $2,000 |  
                                       | 2) | Net section 1231 loss (2003) | ($2,500) |  |  
                                       | 3) | Net section 1231 gain (2005) | 1,800 |  |  
                                       | 4) | Remaining net section 1231 loss
 | ($700) |  |  
                                       | 5) | Gain treated as ordinary income
 | $700 |  
                                       | 6) | Gain treated as long-term capital gain
 | $1,300 |  
                              
                            His remaining net section 1231 loss from 2003 is completely recaptured in 2006.
                              
                            
                     If you dispose of depreciable or amortizable property at a gain, you may have to treat all or part of the gain (even if it
                        is otherwise nontaxable)
                        as ordinary income.
                        
                      
                        A gain on the disposition of section 1245 property is treated as ordinary income to the extent of depreciation allowed or
                           allowable.
                           
                         Any recognized gain that is more than the part that is ordinary income because of depreciation is a section 1231 gain. See
                           Treatment as
                                 ordinary or capital under Section 1231 Gains and Losses, earlier.
                           
                         Defined.
                                   Section 1245 property includes any property that is or has been subject to an allowance for depreciation or amortization
                           and is any of the
                           following types of property.
                           
                            
                              
                                 
                                    Personal property (either tangible or intangible).
                                    Other tangible property (except buildings and their structural components) used as any of the following.
                                       
                                     
                                       
                                          
                                             An integral part of manufacturing, production, or extraction, or of furnishing transportation, communications, electricity,
                                                gas, water, or
                                                sewage disposal services.
                                             
                                             A research facility in any of the activities in (a).
                                             A facility in any of the activities in (a) for the bulk storage of fungible commodities.
                                    That part of real property (not included in (2)) with an adjusted basis reduced by certain amortization deductions (including
                                       those for
                                       certified pollution control facilities, childcare facilities, removal of architectural barriers to persons with disabilities
                                       and the elderly, or
                                       reforestation expenses) or a section 179 deduction.
                                    
                                    Single purpose agricultural (livestock) or horticultural structures.
                                    Storage facilities (except buildings and their structural components) used in distributing petroleum or any primary product
                                       of petroleum.
                                       
                                     Buildings and structural components.
                                   Section 1245 property does not include buildings and structural components. The term building includes a house, barn,
                           warehouse, or garage. The
                           term structural component includes walls, floors, windows, doors, central air conditioning systems, light fixtures, etc.
                           
                            
                                   Do not treat a structure that is essentially machinery or equipment as a building or structural component. Also, do
                           not treat a structure that
                           houses property used as an integral part of an activity as a building or structural component if the structure's use is so
                           closely related to the
                           property's use that the structure can be expected to be replaced when the property it initially houses is replaced.
                           
                            
                                   The fact that the structure is specially designed to withstand the stress and other demands of the property and cannot
                           be used economically for
                           other purposes indicates it is closely related to the use of the property it houses. Structures such as oil and gas storage
                           tanks, grain storage bins,
                           and silos are not treated as buildings, but as section 1245 property.
                           
                            Facility for bulk storage of fungible commodities.
                                   This is a facility used mainly for the bulk storage of fungible commodities. Bulk storage means storage of a commodity
                           in a large mass before it is
                           used. For example, if a facility is used to store sorted and boxed oranges, it is not used for bulk storage. To be fungible,
                           a commodity must be such
                           that one part may be used in place of another.
                           
                            
                           
                              
                                 
                                    Gain Treated as Ordinary Income
                                     The gain treated as ordinary income on the sale, exchange, or involuntary conversion of section 1245 property, including a
                              sale and leaseback
                              transaction, is the lesser of the following amounts.
                              
                            
                              
                                 
                                    The depreciation (which includes any section 179 deduction claimed) and amortization allowed or allowable on the property.
                                    The gain realized on the disposition (the amount realized from the disposition minus the adjusted basis of the property).  For any other disposition of section 1245 property, ordinary income is the lesser of (1) above or the amount by which its
                              fair market value is
                              more than its adjusted basis. For details, see chapter 3 of Publication 544.
                              
                            Use Part III of Form 4797 to figure the ordinary income part of the gain.
                              
                            Depreciation claimed on other property or claimed by other taxpayers.
                                      Depreciation and amortization include the amounts you claimed on the section 1245 property as well as the following
                              depreciation and amortization
                              amounts.
                              
                               
                                 
                                    
                                       Amounts you claimed on property you exchanged for, or converted to, your section 1245 property in a like-kind exchange or
                                          involuntary
                                          conversion. For details on exchanges of property that are not taxable, see Like-Kind Exchanges in chapter 8.
                                       
                                       Amounts a previous owner of the section 1245 property claimed if your basis is determined with reference to that person's
                                          adjusted basis
                                          (for example, the donor's depreciation deductions on property you received as a gift).
                                        Example. Jeff Free paid $120,000 for a tractor in 2004. On February 23, 2006, he traded it for a chopper and paid an additional $30,000.
                                    To figure his
                                    depreciation deduction for the current year, Jeff continues to use the basis of the tractor as he would have before the trade
                                    to depreciate the
                                    chopper. Jeff can also depreciate the additional $30,000 basis on the chopper.
                                    
                                  
                                       
                                    Temporary regulations were issued to provide more flexibility for computing depreciation deductions when property is acquired
                                    in a like-kind
                                    exchange. For details, see chapter 7 and the instructions for Form 4562, Depreciation and Amortization.
                                    
                                  Depreciation and amortization.
                                      Depreciation and amortization deductions that must be recaptured as ordinary income include (but are not limited to)
                              the following items.
                              
                               
                                 
                                    
                                       Ordinary depreciation deductions. 
                                       Section 179 deduction (see chapter 7). 
                                       Any special depreciation allowance.
                                        Amortization deductions for all the following costs.
                                          
                                        
                                          
                                             
                                                Acquiring a lease. 
                                                Lessee improvements. 
                                                Pollution control facilities. 
                                                Reforestation expenses. 
                                                Section 197 intangibles. 
                                                Childcare facility expenses incurred before 1982. 
                                                Franchises, trademarks, and trade names acquired before August 11, 1993. 
                                       Deductions for all the following costs.
                                          
                                        
                                          
                                             
                                                Removing barriers to the disabled and the elderly. 
                                                Tertiary injectant expenses. 
                                                Depreciable clean-fuel vehicles and refueling property (minus any recaptured deduction). 
                                       Any basis reduction for the investment credit (minus any basis increase for a credit recapture). 
                                       Any basis reduction for the qualified electric vehicle credit (minus any basis increase for a credit recapture).  Example. You file your returns on a calendar year basis. In February 2004, you bought and placed in service for 100% use in your farming
                                    business a
                                    light-duty truck (5-year property) that cost $10,000. You used the half-year convention and your MACRS deductions for the
                                    truck were $1,500 in 2004
                                    and $2,550 in 2005. You did not claim the section 179 expense deduction for the truck. You sold it in May 2006 for $7,000.
                                    The MACRS deduction in
                                    2006, the year of sale, is $893 (½ of $1,785). Figure the gain treated as ordinary income as follows.
                                    
                                  
                                    
                                  Depreciation allowed or allowable.
                                      You generally use the greater of the depreciation allowed or allowable when figuring the part of gain to report as
                              ordinary income. If, in prior
                              years, you have consistently taken proper deductions under one method, the amount allowed for your prior years will not be
                              increased even though a
                              greater amount would have been allowed under another proper method. If you did not take any deduction at all for depreciation,
                              your adjustments to
                              basis for depreciation allowable are figured by using the straight line method.
                              
                               
                                      This treatment applies only when figuring what part of the gain is treated as ordinary income under the rules for
                              section 1245 depreciation
                              recapture.
                              
                               Disposition of plants and animals.
                                      If you elect not to use the uniform capitalization rules (see chapter 6), you must treat any plant you produce as
                              section 1245 property. If you
                              have a gain on the property's disposition, you must recapture the preproductive expenses you would have capitalized if you
                              had not made the choice by
                              treating the gain, up to the amount of these expenses, as ordinary income. For section 1231 transactions, show these expenses
                              as depreciation on Form
                              4797, Part III, line 22. For plant sales that are reported on Schedule F (1040), Profit or Loss From Farming, this recapture
                              rule does not change the
                              reporting of income because the gain is already ordinary income. You can use the farm-price method or the unit-livestock-price
                              method discussed in
                              chapter 2 to figure these expenses.
                              
                               Example. Janet Maple sold her apple orchard in 2006 for $80,000. Her adjusted basis at the time of sale was $60,000. She bought the
                                    orchard in 1999, but the
                                    trees did not produce a crop until 2002. Her preproductive expenses were $6,000. She elected out of the uniform capitalization
                                    rules. Janet must treat
                                    $6,000 of the gain as ordinary income.
                                    
                                  
                        Section 1250 property includes all real property subject to an allowance for depreciation that is not and never has been section
                           1245 property. It
                           includes a leasehold of land or section 1250 property subject to an allowance for depreciation. A fee simple interest in land
                           is not section 1250
                           property because, like land, it is not depreciable.
                           
                         Gain on the disposition of section 1250 property is treated as ordinary income to the extent of additional depreciation allowed
                           or allowable. To
                           determine the additional depreciation on section 1250 property, see Depreciation Recapture in chapter 3 of Publication 544.
                           
                         You will not have additional depreciation if any of the following apply to the property disposed of.
                           
                         
                           
                              
                                 You figured depreciation for the property using the straight line method or any other method that does not result in depreciation
                                    that is
                                    more than the amount figured by the straight line method and you have held the property longer than 1 year.
                                 
                                 You chose the alternate ACRS (straight line) method for the property, which was a type of 15-, 18-, or 19-year real property
                                    covered by the
                                    section 1250 rules.
                                 
                                 The property was nonresidential real property placed in service after 1986 (or after July 31, 1986, if the choice to use MACRS
                                    was made) and
                                    you held it longer than 1 year. These properties are depreciated using the straight line method. 
                                  
                           
                         
                        
                        If you report the sale of property under the installment method, any depreciation recapture under section 1245 or 1250 is
                           taxable as ordinary
                           income in the year of sale. This applies even if no payments are received in that year. If the gain is more than the depreciation
                           recapture income,
                           report the rest of the gain using the rules of the installment method. For this purpose, include the recapture income in your
                           installment sale basis
                           to determine your gross profit on the installment sale.
                           
                         If you dispose of more than one asset in a single transaction, you must separately figure the gain on each asset so that it
                           may be properly
                           reported. To do this, allocate the selling price and the payments you receive in the year of sale to each asset. Report any
                           depreciation recapture
                           income in the year of sale before using the installment method for any remaining gain.
                           
                         For more information on installment sales, see chapter 10.
                           
                         
                        
                        Chapter 3 of Publication 544 discusses the tax treatment of the following transfers of depreciable property.
                           
                          Publication 544 also explains how to handle a single transaction involving multiple properties.
                           
                         
                     
                     This section discusses gain on the disposition of farmland for which you were allowed either of the following.
                        
                      
                        
                      Section 1252 property.
                                If you disposed of farmland you held more than 1 year and less than 10 years at a gain and you were allowed deductions
                        for soil and water
                        conservation expenses for the land, as discussed in chapter 5, you must treat part of the gain as ordinary income and treat
                        the balance as section
                        1231 gain.
                        
                         Exceptions.
                                Do not treat gain on the following transactions as gain on section 1252 property.
                        
                          For more information, see Regulations section 1.1252-2.
                        
                         Amount to report as ordinary income.
                                You report as ordinary income the lesser of the following amounts.
                        
                         
                           
                              
                                 Your gain (determined by subtracting the adjusted basis from the amount realized from a sale, exchange, or involuntary conversion,
                                    or the
                                    fair market value for all other dispositions). 
                                 
                                 The total deductions allowed for soil and water conservation expenses multiplied by the applicable percentage, discussed next. Applicable percentage.
                                The applicable percentage is based on the length of time you held the land. If you dispose of your farmland within
                        5 years after the date you
                        acquired it, the percentage is 100%. If you dispose of the land within the 6th through 9th year after you acquired it, the
                        applicable percentage is
                        reduced by 20% a year for each year or part of a year you hold the land after the 5th year. If you dispose of the land 10
                        or more years after you
                        acquired it, the percentage is 0%, and the entire gain is a section 1231 gain.
                        
                         Example. You acquired farmland on January 19, 1999. On October 3, 2006, you sold the land at a $30,000 gain. Between January 1 and
                              October 3, 2006, you make
                              soil and water conservation expenditures of $15,000 for the land that are fully deductible in 2006. The applicable percentage
                              is 40% since you sold
                              the land within the 8th year after you acquired it. You treat $6,000 (40% of $15,000) of the $30,000 gain as ordinary income
                              and the $24,000 balance
                              as a section 1231 gain.
                              
                            Section 1255 property.
                                If you receive certain cost-sharing payments on property and you exclude those payments from income (as discussed
                        in chapter 3), you may have to
                        treat part of any gain as ordinary income and treat the balance as a section 1231 gain. If you chose not to exclude these
                        payments, you will not have
                        to recognize ordinary income under this provision.
                        
                         Amount to report as ordinary income.
                                You report as ordinary income the lesser of the following amounts.
                        
                         You do not report ordinary income under this rule to the extent the gain is recognized as ordinary income under sections 1231
                        through 1254,
                        1256, and 1257 of the Internal Revenue Code. However, you do report as ordinary income under this rule a gain or a part of
                        a gain regardless of any
                        contrary provisions (including nonrecognition provisions) under any other section of the Internal Revenue Code.
                        
                         Applicable percentage.
                                The applicable percentage of the excluded cost-sharing payments to be reported as ordinary income is based on the
                        length of time you hold the
                        property after receiving the payments. If the property is held less than 10 years after you receive the payments, the percentage
                        is 100%. After 10
                        years, the percentage is reduced by 10% a year, or part of a year, until the rate is 0%.
                        
                         Form 4797, Part III.
                                Use Form 4797, Part III, to figure the ordinary income part of a gain from the sale, exchange, or involuntary conversion
                        of section 1252 property
                        and section 1255 property.
                        
                         Previous | Index | Next Publications Index | 2006 Tax Help Archives | Tax Help Archives Main | Home | 
 |  |