Chapter 11 S Corporations. Basis Limitation for Losses.

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Transcript of Chapter 11 S Corporations. Basis Limitation for Losses.

ChapterChapter1111

S CorporationsS Corporations

S CorporationsS Corporations

Basis Limitation for Losses

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Basis Limitation for LossesBasis Limitation for Losses

[IRC §1366(d)(1)] Deductions for losses from S corporations are limited to: The shareholder’s basis in the stock plus The shareholder’s basis in any indebtedness of the

corporation to the shareholder

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Basis Limitation for LossesBasis Limitation for Losses

[IRC §1366(d)(1)(A)] To determine the basis limit, stock basis is adjusted for current year items in IRC §1367(a)(1) and (a)(2)(A) only

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Basis Limitation for LossesBasis Limitation for Losses

[IRC §1367(a)(2)] Basis is reduced by losses but not below zero

[IRC §1367(b)(2)(A)] Deductible losses reduce the basis of the stock first (but not below zero) and then reduce the basis of debt

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Basis Limitation for LossesBasis Limitation for Losses

[IRC §1367(b)(2)(B)] Restoration of basis:Basis in debt obligations are restored first before

restoring stock basis

[Rev. Rul. 64-162] If the corporation pays off the debt to the shareholder/creditor before the basis is restored, he/she must recognize a gainIf the debt was evidence by a security, the gain is a

capital gain (otherwise, the gain is an ordinary gain)

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Basis Limitation for LossesBasis Limitation for Losses

[IRC §1366(d)(2)] Excess losses carry forward indefinitely and are deductible when the S corporation stock basis is restored

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Basis LimitationsBasis Limitations

See Examples 2 & 3

S CorporationsS Corporations

Penalty Taxes or “Sting Taxes”Built-In Gains

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Built-In Gains TaxBuilt-In Gains Tax

Enacted to keep C corporations from avoiding paying taxes on liquidating distributions by electing S corporation status just before liquidating the corporation or selling its assetsTax is imposed directly on the S corporation

[IRC §1374(a)]Tax applies only to S corporations that were

formerly C corporations [IRC §1374(c)(1)]

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Built-In Gains TaxBuilt-In Gains Tax

[IRC §1374(d)(1)] The net unrealized built-in gain equals:The corporation’s aggregate asset FMV at the

beginning of its first year as an S corporation lessThe corporation’s aggregate asset adjusted basis at

the beginning of its first year as an S corporation

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Built-In Gains TaxBuilt-In Gains Tax

[IRC §1374(d)(3)] Recognized built-in gain means any gain recognized during the recognition period on the disposition of any asset except to the extent that:The asset was acquired after the election of S

corporation status, orThe gain exceeds the FMV less the asset’s adjusted

basis at the time the S election was made

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Built-In Gains TaxBuilt-In Gains Tax

[IRC §1374(d)(3)] Recognized built-in loss means any loss recognized during the recognition period on the disposition of any asset to the extent that:The asset was held at the time S corporation status

was elected, andThe loss does not exceed the asset’s adjusted basis

less the FMV at the time the S election was made

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Built-In Gains TaxBuilt-In Gains Tax

[IRC §1374(d)(7)] The recognition period means the first 10 years after the corporation becomes an S corporation

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Built-In Gains TaxBuilt-In Gains Tax

[IRC §1374(d)(2)] The net recognized built-in gain means the lesser of:The amount that would be taxable income for the

year if only recognized built-in gains and recognized built in losses were taken into account, or

The corporation’s taxable income for the year under IRC §1375(b)(1)(B) Items of taxable gross income less deductible expenses

(without DRD or NOL carryovers)

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Built-In Gains TaxBuilt-In Gains Tax

[IRC §1374(c)(2)] The amount of net recognized built-in gain taken into account for any year shall not exceed:The net unrealized built-in gain lessThe net recognized built-in gains for prior years

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Built-In Gains TaxBuilt-In Gains Tax

[IRC §1374(b)] A 35% tax is imposed on the net recognized built-in gain for the yearThe tax imposed is treated as a loss sustained by the

corporation [IRC §1366(f)(2)]The character of the loss depends on the character of

the recognized built-in gain that gave rise to the tax [IRC §1366(f)(2)]

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Built-In Gains TaxBuilt-In Gains Tax

See Examples 4 & 5