Loopholes > Federal > Married Put Basis Adjustment
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Married Put Basis Adjustment

IRC §1233(c)

If an option to sell (put) is acquired on the same day as the underlying property, and the option is not exercised, the cost of the option is added to the basis of the property.

Eligibility

Requires the taxpayer to identify the property intended to be used in exercising the option on the same day the option and property are acquired.

Frequently Asked Questions

Who is eligible for the Married Put Basis Adjustment?

Requires the taxpayer to identify the property intended to be used in exercising the option on the same day the option and property are acquired.

How does the Married Put Basis Adjustment work?

If an option to sell (put) is acquired on the same day as the underlying property, and the option is not exercised, the cost of the option is added to the basis of the property.

What law authorizes the Married Put Basis Adjustment?

The Married Put Basis Adjustment is authorized under IRC §1233(c) of the Internal Revenue Code (Title 26, United States Code).

Statutory Text — IRC §1233

Source: Internal Revenue Code, Title 26, United States Code

§ 1233. Gains and losses from short sales(a) Capital assetsFor purposes of this subtitle, gain or loss from the short sale of property shall be considered as gain or loss from the sale or exchange of a capital asset to the extent that the property, including a commodity future, used to close the short sale constitutes a capital asset in the hands of the taxpayer. (b) Short-term gains and holding periodsIf gain or loss from a short sale is considered as gain or loss from the sale or exchange of a capital asset under subsection (a) and if on the date of such short sale substantially identical property has been held by the taxpayer for not more than 1 year (determined without regard to the effect, under paragraph (2) of this subsection, of such short sale on the holding period), or if substantially identical property is acquired by the taxpayer after such short sale and on or before the date of the closing thereof—(1) any gain on the closing of such short sale shall be considered as a gain on the sale or exchange of a capital asset held for not more than 1 year (notwithstanding the period of time any property used to close such short sale has been held); and (2) the holding period of such substantially identical property shall be considered to begin (notwithstanding section 1223, relating to the holding period of property) on the date of the closing of the short sale, or on the date of a sale, gift, or other disposition of such property, whichever date occurs first. This paragraph shall apply to such substantially identical property in the order of the dates of the acquisition of such property, but only to so much of such property as does not exceed the quantity sold short. For purposes of this subsection, the acquisition of an option to sell property at a fixed price shall be considered as a short sale, and the exercise or failure to exercise such option shall be considered as a closing of such short sale. (c) Certain options to sellSubsection (b) shall not include an option to sell property at a fixed price acquired on the same day on which the property identified as intended to be used in exercising such option is acquired and which, if exercised, is exercised through the sale of the property so identified. If the option is not exercised, the cost of the option shall be added to the basis of the property with which the option is identified. This subsection shall apply only to options acquired after August 16, 1954. (d) Long-term lossesIf on the date of such short sale substantially identical property has been held by the taxpayer for more than 1 year, any loss on the closing of such short sale shall be considered as a loss on the sale or exchange of a capital asset held for more than 1 year (notwithstanding the period of time any property used to close such short sale has been held, and notwithstanding section 1234).

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