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26th Annual HealthSciences Tax ConferenceASC 740 update: accounting for income taxesfor exempt organizations
December 7, 2016
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Disclaimer
► EY refers to the global organization, and may refer to one or more, of the member firms of Ernst & Young Global Limited, each of which is a separate legal entity. Ernst & Young LLP is a client-serving member firm of Ernst & Young Global Limited operating in the US.
► This presentation is © 2016 Ernst & Young LLP. All rights reserved. No part of this document may be reproduced, transmitted or otherwise distributed in any form or by any means, electronic or mechanical, including by photocopying, facsimile transmission, recording, rekeying, or using any information storage and retrieval system, without written permission from Ernst & Young LLP. Any reproduction, transmission or distribution of this form or any of the material herein is prohibited and is in violation of US and international law. Ernst & Young LLP expressly disclaims any liability in connection with use of this presentation or its contents by any third party.
► Views expressed in this presentation are those of the speakers and do not necessarily represent the views of Ernst & Young LLP.
► This presentation is provided solely for the purpose of enhancing knowledge on tax matters. It does not provide tax advice to any taxpayer because it does not take into account any specific taxpayer’s facts and circumstances.
► These slides are for educational purposes only and are not intended, and should not be relied upon, as accounting advice.
ASC 740 update: accounting for income taxes for exempt organizations
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Presenters
► Terence M. KennedyErnst & Young LLPCleveland, [email protected]+1 216 583 1504
► Raymond LeeErnst & Young LLPAustin, [email protected]+ 1 512 473 3446
► Jocelyne C. MillerErnst & Young LLPSan Diego, [email protected] +1 858 535 7360
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Agenda
► Accounting for income taxes of exempt organizations► Uncertain tax positions► Deferred taxes and valuation allowances► Affordable Care Act (ACA) tax exposures► Recent accounting pronouncements► Regulator focus on audited financial statements► Error corrections versus changes in accounting estimates► Income tax-related financial statement concerns► Tax provision best practices► Questions?
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Accounting for income taxes of exempt organizations
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Accounting Standards Codification (ASC) Topic 740
► ASC 740 addresses financial accounting and reporting for the effects of income taxes that result from an entity’s activities during the current and preceding years.► Exempt organizations:
► May have a tax provision for significant unrelated business income activities (federal and state income tax) or significant income subject to tax outside of the US
► Need to evaluate and document continued qualification for tax exemption
► Taxable subsidiaries and unrelated business income activities:► ASC 740 applies► Financial statement impact depending on materiality
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Evaluate and document qualification for exempt status
► Exemption only effective while the requirements are met► Current documentation
► Internal Revenue Service (IRS) Select Check review of (501(c)(3) organizations except under group exemptions)
► Missed filings of smaller organizations — three in a row► IRS or state notices
► Activities — as described to IRS► Exempt activities► Any political activities► Significant lobbying activities► Private inurement — private benefit► Substantial unrelated activities ► 501(r) compliance
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Unrelated business income
► Unrelated business income► New revenue sources and businesses
► Who has the details about how these are operated?► Recurring revenue activities
► Are the activities still operated in ways that are substantially related to tax-exempt purposes?
► Has the scope expanded? ► Do rents still meet the exemption requirements?
► Debt financing► Alternative and foreign investments
► Often pass-through — character and revenue
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Unrelated business income
► Estimate unrelated business taxable income► Include active businesses and pass-through income► Consider reasonableness of expense methodology► Consider the profit motive for activities in a loss position► Document everything
► Calculate tax and test against materiality thresholds► Generally, current year tax and unpaid tax for the two preceding tax years
are tested► Failure to file certain foreign information returns when required (e.g.,
Forms 5471, 926, 8865, 8621) holds open the year the return was triggered for federal income tax assessment
► ASC 740 rules apply in full
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Taxable subsidiary income tax calculations
► Taxable subsidiaries► Consolidated groups► Tax-sharing agreements► Sufficient documentation supporting tax calculations► Determination of tax years open for federal income tax
assessment
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Non-income tax considerations
► Indirect taxes ► Property► Sales and use► Medical device excise tax► Private foundation tax — lapsed public charity (including
compliance with Section 509(a)(3) reporting requirements)► Other non-income taxes
► Tax-exempt financing► Compliance requirements
► Compensation reporting► State filing requirements
► Penalties — financial and effect on statute of limitations
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Uncertain tax positions
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Accounting for uncertainty in income taxes
► Benefit recognition model► Tax position must meet minimum recognition threshold before
being recognized in financial statements
► ASC Topic 450 is not applicable to income taxes► Applies to all companies, including non-public entities► Determination that exempt status is highly certain► Review of less-than-highly certain positions
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Uncertain tax positionsPresentation
► Difference between tax benefit as (or to be) reflected in the income tax return and the amount recorded in the financial statements should be classified as either:► A current or non-current liability
Or ► A reduction of deferred tax assets (DTAs) for a temporary difference, a net
operating loss (NOL) carryforward, similar tax loss or a tax credit carryforward
► The amount expected to be paid in the next year should be classified as a current liability.
► Indirect tax effects on other tax positions:► State taxes often have an indirect effect on federal taxes. ► Indirect tax effects on other tax positions are not included in the
unrecognized tax benefit (UTB) tabular rollforward disclosure.
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Uncertain tax positionsPresentation — Accounting Standards Update (ASU) 2013-11
► Assume tax position is disallowed at the reporting date► If net settlement of a net operating loss, similar tax loss or tax credit
carryforward and an unrecognized tax benefit is required or expected, present liability associated with uncertain tax benefit as a reduction to related DTA for net operating loss, similar tax loss or tax credit carryforward
► If net settlement is not required or expected, present uncertain tax benefit as a liability; not combined with DTA
► Not expected to change DTA realizability assessment► Does not change disclosure requirements of uncertain tax positions
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Uncertain tax positionsDocumentation
► Nature and extent of documentation required may vary based upon the character of the uncertain income tax position
► Distinguish between “highly certain” tax positions and tax positions for which greater uncertainty is present► Highly certain tax positions are based on clear and unambiguous
tax law► Clearly meets more-likely-than-not recognition standard and there is a
greater than 50% likelihood that 100% of benefit will be sustained
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Deferred taxes and valuation allowances
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Evaluating the need for a valuation allowance
► DTAs represent future tax deductions (or tax carryforwards and tax credits)
► Reduced by a valuation allowance (VA) if it is more likely than not (>50%) that some portion, or all, of the DTAs will not be realized► Evaluation is made on a gross basis — common pitfall► Based on weight of all available evidence► Depends on sufficient taxable income
► Consider four sources of income► VAs address the realizability of DTAs, not their existence — common
pitfall► Consider presentation of valuation allowance
(current and non-current)
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Evaluation of positive and negative evidence
► Weight given to evidence should be commensurate with the ability to objectively verify the evidence.
► Examples of positive and negative evidence include:
Negative evidence Positive evidenceCumulative pretax losses in recent history (generally three years) or projections of cumulative pretax losses — common pitfall
Existing contracts or firm sales backlog
History of carryforwards expiring unused Strong earnings history, exclusive of loss that created the future deductible amount, coupled with evidence that the loss is an aberration
Brief carryback or carryforward periods Implemented cost reduction plans that can be objectively verified (however, consider any effects on revenues)
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Cumulative losses in recent years
► Calculation► Cumulative pretax income or loss for three years (current year and
two preceding years)► Annual calculation — common pitfall► Exclude only the cumulative effect of accounting changes
► Not an “on/off” switch► Does not, in itself, result in a conclusion of the realizability of
deferred tax assets — common pitfall ► Quantitative considerations► Qualitative considerations
► Significant piece of negative evidence that is often difficult to overcome
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Releasing a valuation allowance
► What framework do I apply when determining whether to release a valuation allowance?► Same framework ► Change in circumstance causes change in judgment about
realization in future years► Key considerations
► Extent of positive and negative evidence that exists► Ability to rely on future projections of income
► Return to profitability► Not an “on/off” switch► No quarterly rolling reversal
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Recap of common pitfalls
► Is the timing of reversal of deferred tax losses (DTLs) considered?► “Naked tax credits” resulting from indefinite-lived intangible assets
► Does a tax planning strategy result in a projection of future taxable income?
► Are DTAs recognized based on projections of future taxable income when the company is in a cumulative loss position, has a going concern opinion or has recently emerged from bankruptcy?
► Is the company considering a rolling reversal of a valuation allowance upon sustained profitability?
► Has a cumulative loss been considered a bright line or “on/off” switch requiring a valuation allowance?
► Is the valuation allowance presented appropriately on the balance sheet (current vs. non-current)?
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Key takeaways
► Must consider all sources of income in assessing realizability
► Determination of whether a company is, or is not, in a cumulative loss position does not, in itself, result in a conclusion as to the realizability of deferred tax assets
► Avoid common valuation allowance pitfalls
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Affordable Care Act tax exposures
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Affordable Care Act (ACA) considerations
► The employer mandate was generally effective on January 1, 2015.
► There are significant excise tax penalties for ACA failures.► A company may need to recognize an accrual for the
resulting loss contingency.► Employers should account for uncertainties resulting from
a lack of clarity in the provisions of the employer mandate (e.g., certain aspects of the definition of a full-time employee) under the loss contingencies accounting guidance (ASC 450).
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ACA considerations
► Key questions:► Have all potential full-time employees been identified? How have
they been identified?► Is there a system in place to appropriately track hours of service?
Is this system compliant with ACA rules?► Was the population of contingent workers, interns, transfers,
international assignees, etc. reviewed under the “common law” definition of “employee”?► Form 1099 workers may be considered employees for the ACA.► Do any potential employee categories signal a risk under the ACA?
► Is the coverage offered considered “affordable” and does it provide minimum value?
► Has the company taken any steps to mitigate the risks associated with contingent workers?
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ACA considerations
► The ACA imposes a nondeductible fee on each covered entity engaged in the business of providing health insurance for US health risks.► A covered entity is generally any entity with net premiums written for
health insurance for US health risks during the fee year that is:► A health insurance issuer within the meaning of Internal Revenue Code (IRC)
Section 9832(b)(2) ► A health maintenance organization within the meaning of IRC
Section 9832(b)(3) ► An insurance company subject to tax under Subchapter L or that would be so
subject to tax but for being exempt under IRC Section 501(a) ► An insurer that provides health insurance under Medicare Advantage, Medicare
Part D or Medicaid ► A non-fully insured, multiple-employer welfare arrangement
► The permanent nondeductible fee can be a material item.
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Recent accounting pronouncements
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Revenue recognitionAmerican Institute of Certified Pubic Accountants (AICPA) health care task force implementation issues
ASC 740 update: accounting for income taxes for exempt organizations
► Third-party settlements
► Continuing Care Retirement Community (CCRC) performance obligations
► Significant financing component
► Disclosures ► Contract costs
► Self-pay► Portfolio
approach
Identified by Revenue
Recognition Industry Task
Force
Submitted to Revenue
Recognition Working Group
Submitted to The Financial
Reporting Executive Committee
Made available for
public comment
Included in Accounting Guide on Revenue
Recognition
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Revenue recognitionAICPA health care task force implementation issues
► Comment period for working drafts of revenue recognition implementation issues ended on September 1, 2016
► No significant external comments received► Other informal comments received:
► If an entity selects the modified retrospective approach, how does it account for changes in the year of adoption to the prior year allowance for doubtful accounts (through bad debt or revenue)?
► In determining if the entity meets the criteria in the paper for implicit price concessions (i.e., that it is not probable that it will collect substantially all of the billed amount), does it evaluate the entire billed amount (insured and self-pay portions) or only the self-pay portion?
► How are multiple portfolios for a single contract and performance obligation handled?
Made available for
public comment
► Self-pay► Portfolio
approach
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Revenue recognitionAICPA health care task force implementation issues
► RRWG discussed third-party settlement working draft this week
► RRWG disagreed with conclusions reached in CCRC performance obligations working draft
► Third-party settlements
► CCRC performance obligations
► Significant financing component
Submitted to Revenue
Recognition Working Group
(RRWG)
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Revenue recognitionAICPA health care task force implementation issues
► Task force is addressing:► What constitutes a contract asset vs. a receivable?► What types of health care services represent a single
performance obligation (or a bundle of goods or services, or a series of distinct goods or services, that are substantially the same and have the same pattern of transfer) vs. multiple performance obligations?
► Are health care entities required (or should be they be required) to quantitatively disclose the amount of implicit price concessions?
► Disclosures
Identified by Revenue
Recognition Industry
Task Force
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LeasesOverview
► FASB issued final standard in February 2016► Key changes to today’s US Generally Accepted Accounting Principles
(GAAP) guidance include: ► Lessees will recognize assets and liabilities for most leases.► New presentation and disclosure requirements for lessees have been
introduced.► Real estate-specific guidance was eliminated► Leases will be classified using criteria similar to today’s guidance.
► Effective for public business entities, certain not-for-profit entities and employee benefit plans for annual and interim periods beginning after December 15, 2018► Early adoption permitted
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LeasesLease classification
► Lessees and lessors will classify leases using criteria similar to today’s guidance but without bright lines. ► Today’s real estate-specific guidance was eliminated. ► Today’s additional lessor classification criteria was changed.► Today’s non-performance default covenant guidance was eliminated.
► Lessees will classify most leases as either: ► Finance — similar to today’s capital leases ► Operating — similar to today’s operating leases
► For leases with a lease term of 12 months or less, lessees would be able to make an accounting policy election to use a short-term lease exemption► Do not recognize lease assets or liabilities► Recognize lease expense on a straight-line basis
► Lessors will classify all leases as sales-type, direct financing or operating
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Presentation of financial statements of not-for-profit entities
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Presentation of financial statements of not-for-profit entities
► The Financial Accounting Standards Board (FASB) issued guidance that will change certain financial statement requirements for not-for-profit (NFP) entities.
► NFPs will be required to:► Present two classes of net assets (without donor restrictions and with
donor restrictions)► Classify the underwater portion of endowments within net assets with
donor restrictions ► NFPs may continue to use either the direct or indirect method of
reporting operating cash flows but will no longer be required to present a reconciliation if the direct method is used.
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Presentation of financial statements of not-for-profit entities
► NFPs also will be required to:► Net external and direct internal investment expenses against investment
return► Report expenses by their natural and functional classification► Provide more information about their available resources and liquidity
► Effective for annual periods beginning after December 15, 2017, and interim periods thereafter
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Presentation of financial statements of not-for-profit entities
► What should NFPs do to prepare?► Consider how the presentation guidance for net investment returns may
affect financial performance reporting measures► Consider their plans to implement and communicate these changes to
their governing boards and other key stakeholders in conjunction with those of other accounting standards effective in a similar time frame
► Monitor the FASB’s activities in the second phase of this project
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FASB’s proposed changes to income tax disclosure requirements
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FASB’s proposed changes to income tax disclosure requirements
► Aim is to make income tax disclosures more effective► Exposure draft issued July 26, 2016, with comments due
September 30, 2016► Any final issued guidance would be applied prospectively► Proposal would:
► Require entities to make additional disclosures related to foreign earnings
► Change the disclosure requirements related to uncertain tax positions
► Broaden the applicability of certain income tax disclosure requirements by replacing the term “public entity” with “public business entity” throughout ASC 740
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FASB’s proposed changes to income tax disclosure requirements
► A public business entity (PBE) is a business entity that:► Is required by the US Securities and Exchange Commission (SEC) to file
or furnish audited financial statements to the SEC► Is required by the Securities Exchange Act of 1934 (the Act) to file or
furnish audited financial statements with a regulatory agency other than the SEC
► Is required to file or furnish audited financial statements with a foreign or domestic regulatory agency for purposes of issuing securities
► Has issued, or is a conduit bond obligor for, securities that are traded, listed or quoted on an exchange or over-the-counter market
► Has issued securities that are not subject to transfer restriction, is required to issue US GAAP financial statements and makes them publicly available on a periodic basis
► Neither a not-for-profit entity nor an employee benefit plan is a business entity.
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FASB’s proposed changes to income tax disclosure requirements
► Other income tax topics► Valuation allowances — PBEs to provide an explanation of the
nature and amounts of valuation allowances recorded or released during the reporting period
► Tax carryforwards — PBEs to disclose:► Gross carryforward amount and related deferred tax asset before
valuation allowance to be disaggregated by federal, state and foreign jurisdiction and broken out by year
► Report total amount of unrecognized tax benefits that offset the deferred tax asset attributable to carryforwards► Non-PBEs would be required to disclose the gross amounts of federal,
state and foreign carryforwards and their expiration dates
► Government assistance — All entities to describe certain legally enforceable agreements with a government
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FASB’s proposed changes to income tax disclosure requirements
► Changes in tax laws — All entities to disclose information about an enacted change in tax law if it is probable that the change will affect the entity in a future period
► Tax rate reconciliations — PBEs to disclose:► Reconciliation between the amount computed by multiplying
pretax income (loss) by the applicable statutory federal income tax rate and the total income tax expense (benefit) from continuing operations
► Individual reconciling items that amount to more than 5% of the amount computed by multiplying the income before tax by the applicable statutory federal income tax rate
► A qualitative description of items causing significant changes in the rate year over year
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Regulator focus on audited financial statements
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Regulator focus Realizability of deferred tax assets
► How evidence was weighted ► Cumulative losses► Consideration of the four sources of taxable income,
including the prominence of each source and the material uncertainties, assumptions or limitations associated with each source
► Timing and reason for changes in valuation allowance► Consistency of assumptions► Consistency of accounting with management discussion
and analysis disclosures
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Error corrections versus changes in accounting estimates
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Return-to-provision adjustments Change in estimate or correction of an error?
► A temporary difference is defined as:► A difference between the tax basis of an asset or liability
(computed in accordance with ASC 740) and its reported amount in the financial statements
► In preparing its tax return, a company may identify a difference between the tax basis used to compute a temporary difference and the tax basis used for the tax return.
► Differences may also arise related to income taxes payable, tax credit carryforwards or other income tax accounts.
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Change in accounting estimate
► Results from new information► Accounted for in the period of change or the period
of change and future periods if the change affects multiple periods► No retrospective adjustment or restatement
► May require disclosure depending on materiality and whether the change is expected to affect future periods
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Correction of an error
► Examples include:► A change from an accounting principle that is not generally
accepted to one that is generally accepted► Corrections of mistakes in the application of US GAAP► Corrections of mathematical mistakes► Oversight or misuse of facts that existed at the time the financial
statements were prepared
► Requires restatement of prior period financial statements (if material) or correction in current period if immaterial
► Determine if there are deficiencies in internal control
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Key takeaways
► A change related to a prior period that did not result from new information is an error and requires additional consideration under ASC 250.
► Refer to Ernst & Young LLP Financial Reporting Developments: Guide on accounting for income taxes, accounting changes and error corrections for additional information.
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Income tax-related financial restatement concerns
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Income tax-related financial restatement concerns
► General causes:► Application of tax technical rules
► Tax basis ► Intraperiod tax allocation
► Interim periods► Accounting for outside basis differences► Realizability of deferred tax assets
► Tax planning strategies► Deferred tax liabilities as source of income
Income tax errors continue to be a leading cause of restatements.
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Income tax-related financial restatement concerns Realizability of DTAs
► Same framework► Establishing a valuation allowance for the first time► Determining whether a valuation allowance continues to
be necessary
► Have all four sources of taxable income been considered?► Future reversals of existing taxable temporary differences
► Evaluate DTAs on a gross basis ► Consider the timing of reversal of existing taxable temporary
differences ► Common pitfall — DTAs evaluated on a net basis► Common pitfall — Naked credits are used as a source of taxable
income
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Tax provision best practices
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Tax provision best practices
► Accelerate work during quarters and interim:► Evaluate and record return-to-provision adjustments► Prove out deferred tax assets and liabilities, current taxes payable and
receivable► Prepare analysis before filing tax return to identify errors in the return
► Document and analyze state tax rates, including apportionment changes and the impact on deferred taxes, and foreign tax rates for changes
► Document outside basis differences, including indefinite reinvestment assertions and prepare outside basis difference calculations (consider previously taxed income and unrecaptured Subpart F income)
► Document valuation allowance considerations (four sources of taxable income) and prepare position paper
► Document uncertain tax positions► Consider tool to improve efficiency and accuracy of computations
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Tax provision best practices
► Institute regular meetings with external auditors regarding contemporaneous issues (significant transactions, changes in business, etc.)
► Annually challenge prior year processes to identify areas for improvement► Simplify, standardize and add controls to existing Excel templates► Address technical issues early and prepare white papers for consideration by
management and external audit► Implement standardized global procedures► Consider the tax provision process a year-round area of continued focus► Identify a third party to assist with preparation or review of the provision (pre-
audit review) or co-source/outsource to free up internal time for review► Obtain assistance researching and documenting issues or preparing white
papers on tax accounting positions
ASC 740 update: accounting for income taxes for exempt organizations
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