Page:United States Statutes at Large Volume 98 Part 1.djvu/592

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PUBLIC LAW 98-000—MMMM. DD, 1984

98 STAT. 544

PUBLIC LAW 98-369—JULY 18, 1984 "(B) the number of days after the date the taxpayer acquired the bond and up to (and including) the date of its maturity. "(2) ELECTION OF ACCRUAL ON BASIS OF CONSTANT INTEREST RATE (IN LIEU OF RATABLE ACCRUAL).—

Ante, p. 533.

"(A) IN GENERAL.—At the election of the taxpayer with respect to any bond, the accrued market discount on such bond shall be the aggregate amount which would have been includible in the gross income of the taxpayer under section 1272(a) (determined without regard to paragraph (2) thereof) with respect to such bond for all periods during which the bond was held by the taxpayer if such bond had been— "(i) originally issued on the date on which such bond was acquired by the taxpayer, "(ii) for an issue price equal to the basis of the taxpayer in such bond immediately after its acquisition. "(B) COORDINATION WHERE BOND HAS ORIGINAL ISSUE DIS-

COUNT.—In the case of any bond having original issue discount, for purposes of applying subparagraph (A)— "(i) the stated redemption price at maturity of such bond shall be treated as equal to its revised issue price, and "(ii) the determination of the portion of the original issue discount which would have been includible in the gross income of the taxpayer under section 1272(a) shall be made under regulations prescribed by the Secretary. "(C) ELECTION IRREVOCABLE.—An election under subparagraph (A), once made with respect to any bond, shall be irrevocable. "(c) TREATMENT OF NONRECOGNITION TRANSACTIONS.—Under regulations prescribed by the Secretary— "(1) TRANSFERRED BASIS PROPERTY.—If a market discount bond is transferred in a nonrecognition transaction and such bond is transferred basis property in the hands of the transferee, for purposes of determining the amount of the accrued market discount with respect to the transferee— "(A) the transferee shall be treated as having acquired the bond on the date on which it was acquired by the transferor for an amount equal to the basis of the transferor, and "(B) proper adjustments shall be made for gain recognized by the transferor on such transfer (and for any original issue discount or market discount included in the gross income of the transferor). "(2) EXCHANGED BASIS PROPERTY.—If any market discount bond is disposed of by the taxpayer in a nonrecognition transaction and paragraph (1) does not apply to such transaction, any accrued market discount determined with respect to the property disposed of to the extent not theretofore treated as ordinary income under subsection (a)— "(A) shall be treated as accrued market discount with respect to the exchanged basis property received by the taxpayer in such transaction if such property is a market discount bond, and