The question presented for solution is the proper cost basis of property acquired by the taxpayer in 1931 and sold in 1937. The sale price being less than the cost, the taxpayer claimed a capital loss in its 1937 income tax return, but the commissioner reduced the cost basis by deducting the amount of depreciation allowable under the income tax laws during the taxpayer’s ownership, and thereby determined a capital gain which produced the deficiencies complained of. In no year during the taxpayer’s ownership had the property (an apartment house) met the costs of operation, and no depreciation had been entered on the taxpayer’s books of account or claimed in .its annual tax returns. 1 Despite these facts the Board approved the com *319 missioner’s adjustment of the cost basis and confirmed the deficiencies.
Such adjustment was authorized by section 113(b) (1) (B) of the Revenue Act of 1936, 26 U.S.C.A. Int.Rev.Code, § 113 (b) (1) (B), which specifically provides that the adjusted basis for determining the gain or loss from the sale of property shall be the cost with proper adjustment for depreciation, in respect of any period since February 28, 1913, “to the extent allowed (but not less than the amount allowable) under this Act [chapter] or prior income tax laws.”
2
In Hardwick Realty Co. v. Commissioner, 2 Cir.,
Order affirmed.
Notes
The tax returns were filed on the basis of cash receipts and disbursements. In 1932 a profit of $1,104.36 was realized on the apartment house but this was absorbed by losses on other properties of the petitioner.
Art. 113(b)-l of Regulations 94, promulgated under the 1936 Act, explains that “The adjustment required for any taxable year or period is the amount allowed or the amount allowable for such year or period under the law applicable thereto, whichever is the greater amount.” In the case at bar since no depreciation was allowed during the period, none having been claimed, the amount allowable is the only amount to be considered. The figures are not disputed.
