The amounts described in subparagraphs (1) and (2) of this paragraph are includible in gross income for the taxable year in which they are received even though the cooperative organization was allowed a deduction for such amounts for its preceding taxable year because they were paid during the payment period for such preceding taxable year. Similarly, such amounts are includible in gross income even though the cooperative organization is not permitted any deduction for such amounts under the provisions of section 1382 because such amounts were not paid within the time prescribed by such section.
Example: A, a farmer, receives a patronage dividend from the X Cooperative, in the form of a nonqualified written notice of allocation, which is attributable to the sale of his crop to that cooperative organization. The stated dollar amount of the nonqualified written notice of allocation is $100. The basis of the written notice of allocation in the hands of A is zero and he must report any amount up to $100 received by him on its redemption, sale, or other disposition, as ordinary income. If A gives the written notice of allocation to his son B, B takes A's (the donor's) basis which is zero, and any gain up to $100 which B later realizes on its redemption, sale, or other disposition is ordinary income. Similarly, if A dies before realizing any gain on the nonqualified written notice of allocation, B, his legatee, has a zero basis for such written notice of allocation and any gain up to $100 which he then realizes on its redemption, sale, or other disposition is also ordinary income. Such gain is income in respect of a decedent within the meaning of section 691(a) and § 1.691(a)-1 .
Cost of farm implement, July 1, 1964 | $2,900 |
Less: | |
Salvage value | 200 |
Depreciation for 1964 (6 months) | 450 |
Adjustment as of January 1, 1965 for cash patronage dividend | 300 |
Total | 950 |
Basis for depreciation for the remaining 21/2 years of estimated life | 1,950 |
Depreciation deduction for 1965 ($1,950 divided by the 21/2 years of remaining life) | 700 |
Cost of farm implement, July 1, 1964 | $2,900 |
Less: | |
Salvage value | 200 |
Depreciation for 1964 (6 months) | 450 |
Depreciation for 1965 | 900 |
Adjustment as of January 1, 1966 for proceeds of the redemption | 300 |
Total | 1,850 |
Basis for depreciation on Jan. 1, 1966 | 1,050 |
If P uses the implement in his business until fully depreciated, he would be entitled to the following depreciation allowances with respect to such implement: | |
For 1966 | 700 |
For 1967 | 350 |
Total | 1,050 |
Balance to be depreciated | 0 |
26 C.F.R. §1.1385-1