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                                                                                                       Department of the Treasury
                                                                                                       Internal Revenue Service
2024

Instructions for Schedule D 

(Form 1065)

Capital Gains and Losses

Section references are to the Internal Revenue   Use Form 4797, Sales of Business           U.S. Government publications, 
Code unless otherwise noted.                   Property, to report the following.           including the Congressional Record, that 
                                               Sales or exchanges of property used in     the partnership received from the 
Future Developments                            a trade or business.                         government, other than by purchase at the 
                                               Sales or exchanges of depreciable or       normal sales price, or that the partnership 
For the latest information about               amortizable property.                        got from another taxpayer who had 
developments related to Schedule D             Sales or other dispositions of securities  received it in a similar way, if the 
(Form 1065) and its instructions, such as      or commodities held in connection with a     partnership's basis is determined by 
legislation enacted after they were            trading business, if the partnership made a  reference to the previous owner.
published, go to IRS.gov/Form1065.             mark-to-market election (see                 Certain commodities derivative financial 
                                               Mark-to-market accounting method in the      instruments held by a dealer. See section 
General Instructions                           Instructions for Form 1065).                 1221(a)(6).
                                               Involuntary conversions (other than        Certain hedging transactions entered 
Purpose of Schedule                            from casualties or thefts).                  into in the normal course of the trade or 
Use Schedule D (Form 1065) to report the       The disposition of noncapital assets       business. See section 1221(a)(7).
following.                                     (other than inventory or property held       Supplies regularly used in the trade or 
The total capital gains and losses from      primarily for sale to customers in the       business.
transactions reported on Form 8949,            ordinary course of a trade or business).
Sales and Other Dispositions of Capital        Election to defer a qualified section      Short- or Long-Term Gain 
Assets.                                        1231 gain invested in a qualified 
Certain transactions the partnership         opportunity fund (QOF).                      or Loss
                                                                                            Report short-term gains or losses in Part I. 
doesn't have to report on Form 8949.             Use Form 6781, Gains and Losses            Report long-term gains or losses in Part II. 
Capital gains from installment sales         From Section 1256 Contracts and              The holding period for short-term capital 
from Form 6252, Installment Sale Income.       Straddles, to report gains and losses from   gains and losses is generally 1 year or 
Capital gains and losses from Form           section 1256 contracts and straddles. If     less. The holding period for long-term 
8824, Like-Kind Exchanges (and section         there are limited partners, see section      capital gains and losses is generally more 
1043 conflict-of-interest sales).              1256(e)(4) for the limitation on losses from than 1 year. However, an exception 
Partnership's share of net capital gains     hedging transactions.                        applies for certain sales of applicable 
and losses, including specially allocated                                                   partnership interests. See Transactions 
capital gains and losses, from                   Use Form 8997, Initial and Annual          with respect to applicable partnership 
partnerships, estates, and trusts.             Statement of Qualified Opportunity Fund      interests under Items for Special 
Capital gain distributions.                  (QOF) Investments, if you held a qualified   Treatment below.
                                               investment in a QOF at any time during the 
Note.  For more information, see Pub.          year. See the Form 8997 instructions.          For more information about holding 
544, Sales and Other Dispositions of                                                        periods, see the Instructions for Form 
Assets, and the Instructions for Form          What Are Capital Assets?                     8949.
8949.                                          Each item of property the partnership held 
                                               (whether or not connected with its trade or  Items for Special 
Other Forms the                                business) is a capital asset except the      Treatment
Partnership May Have To                        following.                                   Transactions with respect to applicable 
                                               Stock in trade or other property           partnership interests. The long-term 
File                                           included in inventory or held mainly for     holding period for gains and losses with 
Use Form 8949 to report the sale or            sale to customers.                           respect to applicable partnership interests 
exchange of a capital asset (defined later)    Accounts or notes receivable acquired      is more than 3 years. If the holding period 
not reported on another form or schedule       in the ordinary course of the trade or       is 3 years or less, gains and losses with 
and to report the income deferral or           business for services rendered or from the   respect to applicable partnership interests 
exclusion of capital gains. See the            sale of stock in trade or other property     are treated as short term. An applicable 
Instructions for Form 8949. Complete all       held mainly for sale to customers.           partnership interest is any interest in a 
necessary pages of Form 8949 before you        Depreciable or real property used in the   partnership that, directly or indirectly, is 
complete line 1b, 2, 3, 8b, 9, or 10 of        trade or business, even if it is fully       transferred to (or is held by) the taxpayer 
Schedule D. See Lines 1a and 8a, later,        depreciated.                                 in connection with the performance of 
for more information about when to use         Certain copyrights; literary, musical, or  substantial services by the taxpayer, or 
Form 8949.                                     artistic compositions; letters or            any other related person, in any applicable 
  Use Form 4684, Casualties and Thefts,        memoranda; or similar property. See          trade or business. See section 1061 and 
to report involuntary conversions of           section 1221(a)(3).                          Pub. 541, Partnerships, for details.
property due to casualty or theft.             Certain patents, inventions, models, or 
                                               designs (whether or not patented); secret 
                                               formulas or processes; or similar property.

Aug 22, 2024                                                Cat. No. 51610S



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Transactions by a securities dealer. See     Any loss on the disposition of converted   method may not be used to report sales of 
sections 475 and 1236, and Rev. Rul.           wetland or highly erodible cropland that is  stock or securities traded on an 
97-39, 1997-39 I.R.B. 4.                       first used for farming after March 1, 1986,  established securities market. Use Form 
Bonds and other debt instruments. See        is reported as a long-term capital loss on   6252 to report the sale on the installment 
Pub. 550, Investment Income and                Form 8949/Schedule D, but any gain on        method. Also use Form 6252 to report any 
Expenses.                                      such a disposition is reported as ordinary   payment received during the tax year from 
Gain on disposition of market discount       gain on Form 4797. See section 1257 for      a sale made in an earlier year that was 
bonds. In general, a capital gain upon the     details.                                     reported on the installment method.
disposition of a market discount bond is       Transfer of partnership assets and 
treated as interest income to the extent of    liabilities to a newly formed corporation in   If the partnership wants to elect out of 
accrued market discount as of the date of      exchange for all of its stock. See Rev. Rul. the installment method for installment gain 
disposition. See sections 1276 through         84-111, 1984-2 C.B. 88.                      that isn’t specially allocated among the 
1278 and Pub. 550 for more information         Disposition of foreign investment in a     partners, it must report the full amount of 
on market discount. See the Instructions       U.S. real property interest. See section     the gain on Form 8949 on a timely filed 
for Form 8949 for detailed information         897.                                         return (including extensions) for the year of 
about how to report the disposition of a       Any loss from a sale or exchange of        the sale.
market discount bond.                          property between the partnership and           If the partnership wants to elect out of 
Contingent payment debt instruments.         certain related persons isn’t allowed,       the installment method for installment gain 
Any gain recognized on the sale,               except for distributions in a complete       that is specially allocated among the 
exchange, or retirement of a contingent        liquidation of a corporation. See sections   partners, it must do the following on a 
payment debt instrument subject to the         267 and 707(b) for details.                  timely filed return (including extensions).
noncontingent bond method is generally         Any loss from securities that are capital    1. For a short-term capital gain, report 
treated as interest income rather than as      assets that become worthless during the      the full amount of the gain on Schedule K, 
capital gain. In certain situations, all or a  year is treated as a loss from the sale or   line 8 or 11.
portion of a loss recognized on the sale,      exchange of a capital asset on the last day 
exchange, or retirement of a contingent        of the tax year.                               For a long-term capital gain, report the 
payment debt instrument subject to the         Nonrecognition of gain on sale of stock    full amount of the gain on Schedule K, 
noncontingent bond method may be               to an employee stock ownership plan          line 9a or 11. Report the collectibles gain 
treated as an ordinary loss rather than as     (ESOP) or an eligible cooperative. See       (28% rate gain) on Schedule K, line 9b.
a capital loss. See Regulations section        section 1042 and Temporary Regulations         2. Enter each partner's share of the 
1.1275-4(b) and Pub. 1212 for more             section 1.1042-1T for rules under which a    full amount of the gain on Schedule K-1, 
information on contingent payment debt         taxpayer may elect not to recognize gain     box 8 or 9a, or in box 11 using code I, 
instruments subject to the noncontingent       from the sale of certain stock to an ESOP    whichever applies. Report the collectibles 
bond method. See the Instructions for          or an eligible cooperative. Under section    gain (28% rate gain) in box 9b of 
Form 8949 for detailed information about       703(b), the partnership is the appropriate   Schedule K-1.
how to report the disposition of a             entity to make the 1042 election.
contingent payment debt instrument.            A nonbusiness bad debt must be               If the partnership filed its original return 
Gain on certain short-term federal,          treated as a short-term capital loss and     on time without making the election, it may 
state, and municipal obligations (other        can be deducted only in the year the debt    make the election on an amended return 
than tax-exempt obligations). If a             becomes totally worthless. See Pub. 550      filed no later than 6 months after the due 
short-term governmental obligation (other      for more details.                            date of the return (excluding extensions). 
than a tax-exempt obligation) that is a        Any loss from a wash sale of stock or      Enter “Filed pursuant to section 
capital asset is acquired at an acquisition    securities (including contracts or options   301.9100-2” at the top of the amended 
discount, a portion of any gain realized is    to acquire or sell stock or securities)      return.
treated as ordinary income and any             cannot be deducted unless the                A sale or other disposition of an interest 
remaining balance as a short-term capital      partnership is a dealer in stock or          in a partnership owning unrealized 
gain. See section 1271.                        securities and the loss was sustained in a   receivables or inventory items may result 
Certain real estate subdivided for sale      transaction made in the ordinary course of   in ordinary gain or loss. See Pub. 541 for 
that may be considered a capital asset.        the partnership's trade or business. A       more details.
See section 1237.                              wash sale occurs if the partnership          Gain from certain constructive 
Gain on the sale of depreciable              acquires (by purchase or exchange), or       ownership transactions. Gain in excess of 
property to a more-than-50%-owned              has a contract or option to acquire,         the net underlying long-term gain the 
entity, or to a trust in which the partnership substantially identical stock or securities  partnership would have recognized if it 
is a beneficiary, is treated as ordinary gain. within 30 days before or after the date of   had held a financial asset directly during 
See section 1239.                              the sale or exchange. See section 1091 for   the term of a derivative contract must be 
Liquidating distributions from a             more information. Report a wash sale         treated as ordinary income. See section 
corporation. See Pub. 550 for details.         transaction on Form 8949, Part I or II (with 1260 for details.
Gain on the sale or exchange of stock in     the appropriate box checked), depending      Gain from the sale of collectibles. 
certain foreign corporations. See section      on how long the partnership owned the        Report any collectibles gain (28% rate 
1248.                                          stock or securities. Enter “W” in column (f) gain) (loss) included on lines 8a through 
Gain or loss on options to buy or sell,      and enter as a positive number in column     14 on line 9b of Schedule K (and each 
including closing transactions. See Pub.       (g) the amount of the loss not allowed.      partner's share in box 9b of 
550 for details.                               Complete all remaining columns. See the      Schedule K-1). A collectibles gain (28% 
Gain or loss from a short sale of            Instructions for Form 8949.                  rate gain) (loss) is any long-term gain or 
property. See Pub. 550 for details.            Gain from installment sales. If the        deductible long-term loss from the sale or 
Transfer of property to a political          partnership sold property at a gain and it   exchange of a collectible that is a capital 
organization if the fair market value (FMV)    will receive a payment in a tax year after   asset.
of the property exceeds the partnership's      the year of sale, it must generally report     Collectibles include works of art, rugs, 
adjusted basis in such property. See           the sale on the installment method unless    antiques, metals (such as gold, silver, and 
section 84.                                    it elects not to. However, the installment   platinum bullion), gems, stamps, coins, 

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alcoholic beverages, and certain other       or disposing of securities) from a trading    it would be reported if the election was not 
tangible property.                           business on page 1 of Form 1065.              made. Then enter “R” in column (f). Enter 
  Report any 28% gain or loss from a           A trader may also hold securities for       the amount of the postponed gain as a 
sale or exchange of a collectible on Form    investment. The rules for investors will      negative number (in parentheses) in 
8949, Part II (with the appropriate box      generally apply to those securities.          column (g). See the Instructions for Form 
checked). See the Instructions for Form      Allocate interest and other expenses          8949.
8949.                                        between the partnership's trading               Attach a statement to Form 1065 that 
                                             business and its investment securities.       (a) identifies the replacement qualified 
  Also include gain (but not loss) from the  Investment interest expense is reported on    small business stock, (b) shows the 
sale or exchange of an interest in a         line 13c of Schedule K and in box 13 of       computation of the adjustment to the 
partnership or trust held more than 1 year   Schedule K-1 using code H.                    partnership's basis in the replacement 
and attributable to unrealized appreciation                                                stock for the amount of any postponed 
of collectibles. For details, see            Constructive sale treatment for certain 
                                                                                           gain under section 1045, and (c) shows 
Regulations section 1.1(h)-1. Also, attach   appreciated positions.  Generally, the 
                                                                                           the dates on which the replacement stock 
the statement required under Regulations     partnership must recognize gain (but not 
                                                                                           was acquired by the partnership.
section 1.1(h)-1(e).                         loss) on the date it enters into a 
                                             constructive sale of any appreciated                  The partnership must also 
Special rules for traders in securities.     position in stock, a partnership interest, or   !     separately state the amount of the 
Traders in securities are engaged in the     certain debt instruments as if the position   CAUTION gain rolled over on qualified stock 
business of buying and selling securities    were disposed of at FMV on that date.         under section 1045 on Form 1065, 
for their own account. To be engaged in        The partnership is treated as making a      Schedule K, line 11. Each partner must 
business as a trader in securities:          constructive sale of an appreciated           determine if they qualify for the rollover at 
The partnership must seek to profit from   position when it (or a related person, in     the partner level or if they want to opt out 
daily market movements in the prices of      some cases) does one of the following.        of the section 1045 election. Also, the 
securities and not from dividends, interest,   Enters into a short sale of the same or     partnership must separately state on that 
                                             
or capital appreciation;                     substantially identical property (that is, a  line any gain that would qualify for the 
The partnership's trading activity must    “short sale against the box”).                section 1045 rollover at the partner level 
be substantial; and                            Enters into an offsetting notional          instead of the partnership level (because a 
                                             
The partnership must carry on the          principal contract relating to the same or    partner was entitled to purchase 
activity with continuity and regularity.     substantially identical property.             replacement stock) and any gain on 
  The following facts and circumstances      Enters into a futures or forward contract   qualified stock that could qualify for an 
should be considered in determining if a     to deliver the same or substantially          exclusion under section 1202.
partnership's activity is a business.        identical property.                             To be qualified small business stock, 
Typical holding periods for securities     Acquires the same or substantially          the stock must meet all of the following 
bought and sold.                             identical property (if the appreciated        tests.
The frequency and dollar amount of the     position is a short sale, an offsetting         It must be stock in a C corporation (that 
partnership's trades during the year.        notional principal contract, or a futures or  
                                                                                           is, not S corporation stock).
The extent to which the partners pursue    forward contract).                              It must have been originally issued after 
the activity to produce income for a         Exception.  Generally, constructive sale      
                                                                                           August 10, 1993.
livelihood.                                  treatment doesn't apply if:                     As of the date the stock was issued, the 
The amount of time devoted to the          The partnership closed the transaction      
                                                                                           corporation was a qualified small 
activity.                                    before the end of the 30th day after the      business. A qualified small business is a 
  Like an investor, a trader must            end of the tax year in which it was entered   domestic C corporation with total gross 
generally report each sale of securities     into,                                         assets of $50 million or less (a) at all times 
(taking into account commissions and any     The partnership held the appreciated        after August 9, 1993, and before the stock 
other costs of acquiring or disposing of the position to which the transaction relates     was issued; and (b) immediately after the 
securities) on Form 8949 unless one of the   throughout the 60-day period starting on      stock was issued. Gross assets include 
exceptions described in the Instructions     the date the transaction was closed, and      those of any predecessor of the 
for Form 8949 applies. However, if a trader  At no time during that 60-day period        corporation. All corporations that are 
made the mark-to-market election (see        was the partnership's risk of loss reduced    members of the same parent-subsidiary 
Mark-to-market accounting method in the      by holding certain other positions.           controlled group are treated as one 
Instructions for Form 1065), each              For details and other exceptions to         corporation.
transaction is reported in Part II of Form   these rules, see Pub. 550.                    The partnership must have acquired the 
4797 instead of Form 8949.                                                                 stock at its original issue (either directly or 
                                             Rollover of gain from qualified stock. 
  Regardless of whether a trader reports     If the partnership sold qualified small       through an underwriter), either in 
its gains and losses on Form 8949 or Form    business stock (defined below) it held for    exchange for money or other property or 
4797, the gain or loss from the disposition  more than 6 months, it may postpone gain      as pay for services (other than as an 
of securities isn’t taken into account when  if it purchased other qualified small         underwriter) to the corporation. In certain 
figuring net earnings from                   business stock during the 60-day period       cases, the partnership may meet the test if 
self-employment on Schedules K and K-1.      that began on the date of the sale. The       it acquired the stock from another person 
See section 1402(i) for an exception that    partnership must recognize gain to the        who met this test (such as by gift or at 
applies to section 1256 contracts.           extent the sale proceeds exceed the cost      death) or through a conversion or 
  The limitation on investment interest      of the replacement stock. Reduce the          exchange of qualified small business 
expense that applies to investors doesn't    basis of the replacement stock by any         stock by the holder.
apply to interest paid or incurred in a      postponed gain.                               During substantially all the time the 
                                                                                           partnership held the stock:
trading business. A trader reports interest    If the partnership chooses to postpone 
expense and other expenses (excluding        gain, report the sale on Form 8949, Part I      1. The corporation was a C 
commissions and other costs of acquiring     or II (with the appropriate box checked), as  corporation;

Instructions for Schedule D (Form 1065) 2024                                                                                            3



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  2. At least 80% of the value of the         Gain attributable to real property, or an   to report the deferral. You will need to 
corporation's assets were used in the         intangible asset, that isn’t an integral part attach Form 8997 annually until you 
active conduct of one or more qualified       of a renewal community business.              dispose of the QOF investment. For more 
businesses (defined below); and               Gain from a related-party transaction.      information, see Form 8997 and its 
  3. The corporation was not a foreign        See Sales and Exchanges Between               instructions.
corporation, domestic international sales     Related Persons in chapter 2 of Pub. 544.
                                                                                            Exclusion of gain from DC Zone as-
corporation (DISC), former DISC,              Gain on the sale of an interest in a 
                                                                                            sets.  If the partnership sold or 
corporation that has made (or that has a      partnership or stock of an S corporation, 
                                                                                            exchanged a District of Columbia 
subsidiary that has made) a section 936       which is a renewal community business 
                                                                                            Enterprise Zone (DC Zone) asset that it 
election before March 23, 2018, regulated     during substantially all of the period you 
                                                                                            held for more than 5 years, it may be able 
investment company (RIC), real estate         held such interest or stock, attributable to 
                                                                                            to exclude the qualified capital gain. The 
investment trust (REIT), real estate          real property or an intangible asset which 
                                                                                            DC Zone asset must have been acquired 
mortgage investment conduit (REMIC),          isn’t an integral part of the renewal 
                                                                                            after 1997, and before 2012, to qualify as 
financial asset securitization investment     community business.
                                                                                            an asset for which the partnership may be 
trust (FASIT), or cooperative.                  See section 1400F (as in effect before      able to take the exclusion. The sale or 
                                              its repeal on March 23, 2018) for more        exchange of DC Zone capital assets 
Note.  A specialized small business           details and special rules.                    reported on Form 8949 and Schedule D 
investment company (SSBIC) is treated as                                                    includes the following.
having met test 2 above.                        How to report.  If applicable, report 
                                              the sale or exchange on Form 8949, Part II    Stock in a domestic corporation that 
  A qualified business is any business        (with the appropriate box checked), as it     was a DC Zone business.
other than the following.                     would be reported if the exclusion was not    Interest in a partnership that was a DC 
One involving services performed in the     taken. Enter “X” in column (f) and enter the  Zone business.
field of health, law, engineering,            amount of the exclusion as a negative         Report the sale or exchange of tangible 
architecture, accounting, actuarial           number (in parentheses) in column (g).        property used in the partnership's DC 
science, performing arts, consulting,         See the Instructions for Form 8949.           Zone business on Form 4797.
athletics, financial services, or brokerage                                                   Gains not qualified for exclusion. 
services.                                     Deferral of gain invested in a qualified 
One whose principal asset is the            opportunity fund (QOF).    If the             The following gains don’t qualify for the 
reputation or skill of one or more            partnership realized gain from an actual,     exclusion of gain from DC Zone assets.
employees.                                    or deemed, sale or exchange with an           Gain attributable to periods after 
Any banking, insurance, financing,          unrelated person and during the 180-day       December 31, 2016.
leasing, investing, or similar business.      period beginning on the date the gain was     Gain on the sale of an interest in a 
Any farming business (including the         realized, invested an amount of the gain in   partnership or stock of an S corporation, 
raising or harvesting of trees).              a QOF, the partnership may be able to         which is a DC Zone business during 
Any business involving the production       elect to temporarily defer part or all of the substantially all of the period you held 
of products for which percentage              gain that would otherwise be included in      such interest or stock attributable to real 
depletion can be claimed.                     income. If the partnership makes the          property or an intangible asset which isn’t 
Any business of operating a hotel,          election, the gain included in income is      an integral part of the DC Zone business.
motel, restaurant, or similar business.       only to the extent, if any, the amount of     Gain from a related-party transaction. 
                                              realized gain exceeds the aggregate           See Sales and Exchanges Between 
Exclusion of gain from qualified com-         amount invested in a QOF during the           Related Persons in chapter 2 of Pub. 544.
munity assets.  If the partnership sold or    180-day period beginning on the date gain     Gain treated as ordinary income under 
exchanged a qualified community asset         is realized. The partnership may also be      section 1245.
acquired after 2001 and before 2010, that     able to permanently exclude the gain from     Section 1250 gain figured as if section 
it held for more than 5 years, it can exclude the sale or exchange of any investment in     1250 applied to all depreciation rather 
any qualified capital gain. The exclusion     a QOF if the investment is held for at least  than the additional depreciation.
applies to an interest in, or property of,    10 years. For more information, see           Gain attributable to real property, or an 
certain qualified community assets.           section 1400Z-2.                              intangible asset, that isn’t an integral part 
                                                                                            of a DC Zone business.
  Qualified community asset.        A           Qualified opportunity fund (QOF).        A    See section 1400B (as in effect before 
qualified community asset is any of the       QOF is any investment vehicle that is         its repeal on March 23, 2018) for more 
following.                                    organized as either a corporation or          details on DC Zone assets and special 
Qualified community stock.                  partnership for the purpose of investing in   rules.
Qualified community partnership             eligible property that is located in a 
interest.                                     Qualified Opportunity Zone.                     How to report.  If applicable, report 
Qualified community business property.                                                    the sale or exchange of a DC Zone asset 
                                                Eligible gain. Gain that is eligible to     on Form 8949, Part II (with the appropriate 
  Qualified capital gain.  Qualified          be deferred if it is invested in a QOF        box checked), as it would be reported if 
capital gain is any gain recognized on the    includes any amount treated as a capital      the exclusion was not taken. Enter “X” in 
sale or exchange of a qualified community     gain for federal income tax purposes. See     column (f) and enter the amount of the 
asset, but doesn't include any of the         section 1400Z-2 for more details on QOFs      exclusion as a negative number (in 
following.                                    and the special rules. Also, see IRS.gov/     parentheses) in column (g). See the 
Gain attributable to periods after          credits-deductions/businesses/                Instructions for Form 8949.
December 31, 2014.                            opportunity-zones.
Gain treated as ordinary income under                                                     Undistributed long-term gains from a 
section 1245.                                   How to report.  Report the eligible         regulated investment company (RIC) 
Section 1250 gain figured as if section     gain on Schedule D (Form 1065) as it          or real estate investment trust (REIT). 
1250 applied to all depreciation rather       would otherwise be reported if the            Report the partnership's share of 
than the additional depreciation.             partnership were not making the election.     long-term gains from Form 2439, Notice to 
                                              See the Instructions for Form 8949 for how    Shareholder of Undistributed Long-Term 

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Capital Gains, on Form 8949, Part II (with   gain or loss (short term or long term)      Example 3—adjustment.         The 
box F checked). Enter “From Form 2439”       reported on Form 1099-B (or substitute      partnership received a Form 1099-B 
in column (a). Enter the gain in column (h). statement), or to its gain or loss.         showing proceeds (in box 1d) of $6,000 
Leave all other columns blank. See the       See How To Complete Form 8949,              and cost or other basis (in box 1e) of 
Instructions for Form 8949.                  Columns (f) and (g) in the Instructions for $2,000. Box 12 is checked, meaning that 
                                             Form 8949 for details about possible        basis was reported to the IRS. However, 
NAV method for certain money market 
                                             adjustments to the partnership's gain or    the basis shown in box 1e is incorrect. Do 
funds.  Report capital gain or loss 
                                             loss.                                       not report this transaction on line 1a or 
determined under the net asset value 
                                                                                         line 8a. Instead, report the transaction on 
(NAV) method with respect to shares in a     If the partnership chooses to report        Form 8949. See the instructions for Form 
NAV money market fund on Form 8949,          these transactions on lines 1a and 8a,      8949, columns (f), (g), and (h). Complete 
Part I, with box C checked. Enter the name   don’t report them on Form 8949.             all necessary pages of Form 8949 before 
of each fund followed by “(NAV)” in column 
                                                                                         completing line 1b, 2, 3, 8b, 9, or 10 of 
(a). Enter the net gain or loss in column    Figure gain or loss on each line.           Schedule D.
(h). Leave all other columns blank. See the  Subtract the cost or other basis in column 
Instructions for Form 8949.                  (e) from the proceeds (sales price) in      Lines 1b, 2, 3, 8b, 9, and 10, 
                                             column (d). Enter the gain or loss in       Column (h)—Transactions 
Specific Instructions                        column (h). Enter negative amounts in       Reported on Form 8949
Complete all necessary pages of Form         parentheses.
                                                                                         Figure gain or loss on each line. First, 
8949 before completing line 1b, 2, 3, 8b, 9, Example 1—basis reported to the             subtract cost or other basis (column (e)) 
or 10 of Schedule D.                         IRS.  The partnership received a Form       from proceeds/sales price (column (d)). 
Rounding Off to Whole Dollars                1099-B reporting the sale of stock held for Then, combine the result with any 
                                             3 years, showing proceeds (in box 1d) of    adjustments in column (g). Enter the gain 
Cents can be rounded to whole dollars on     $6,000 and cost or other basis (in box 1e)  or loss in column (h). Enter negative 
Schedule D. If cents are rounded to whole    of $2,000. Box 12 is checked, meaning       amounts in parentheses.
dollars, all amounts must be rounded. To     that basis was reported to the IRS. The 
round, drop cent amounts under 50 and        partnership doesn't need to make any        Example 1—gain.        Column (d) is 
increase cent amounts over 49 to the next    adjustments to the amounts reported on      $6,000 and column (e) is $2,000. Enter 
dollar. For example, $1.49 becomes $1        Form 1099-B or enter any codes. This was    $4,000 in column (h).
and $1.50 becomes $2.                        your only 2024 transaction. Instead of      Example 2—loss.        Column (d) is 
  If two or more amounts have to be          reporting this transaction on Form 8949,    $6,000 and column (e) is $8,000. Enter 
added to figure the amount to enter on a     the partnership can enter $6,000 on         ($2,000) in column (h).
line, include cents when adding the          Schedule D, line 8a, column (d); $2,000 in  Example 3—adjustment.           Column (d) 
amounts and round only the total.            column (e); and $4,000 ($6,000 − $2,000)    is $6,000, column (e) is $2,000, and 
                                             in column (h).
Lines 1a and 8a—Transactions                                                             column (g) is ($1,000). Enter $3,000 
                                             If you had a second transaction that        ($6,000 − $2,000 − $1,000) in column (h).
Not Reported on Form 8949                    was the same except that the proceeds 
The partnership can report on line 1a (for   were $5,000 and the basis was $3,000,       Lines 6 and 13—Capital Gains 
short-term transactions) or line 8a (for     combine the two transactions. Enter         (Losses) From Other 
long-term transactions) the aggregate        $11,000 ($6,000 + $5,000) on                Partnerships, Estates, and 
totals from any transactions (except sales   Schedule D, line 8a, column (d); $5,000 
of collectibles) for which:                  ($2,000 + $3,000) in column (e); and        Trusts
The partnership received a Form            $6,000 ($11,000 − $5,000) in column (h).    See the Schedule K-1 or other information 
1099-B (or substitute statement) that                                                    supplied to the partnership by the other 
shows basis was reported to the IRS and      Example 2—basis not reported to 
doesn't show any adjustment in box 1f or     the IRS. The partnership received a Form    partnership, estate, or trust.
1g;                                          1099-B showing proceeds (in box 1d) of      Line 14—Capital Gain 
The Ordinary checkbox in box 2 of          $6,000 and cost or other basis (in box 1e)  Distributions
Form 1099-B (or substitute statement)        of $2,000. Box 12 isn’t checked, meaning 
isn’t checked;                               that basis was not reported to the IRS.     Enter on line 14 the total capital gain 
The QOF checkbox in box 3 of Form          Don’t report this transaction on line 1a or distributions paid to the partnership during 
1099-B (or substitute statement) isn’t       line 8a. Instead, report the transaction on the year.
checked; and                                 Form 8949. Complete all necessary pages 
The partnership doesn't need to make       of Form 8949 before completing line 1b, 2, 
any adjustments to the basis or type of      3, 8b, 9, or 10 of Schedule D.

Instructions for Schedule D (Form 1065) 2024                                                                                       5






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