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Section 1231 Capital Gain Treatment of Assets Used in Trade or Business. (Losses on Assets Used in Trade or Business Are Ordinary). Section 1231 Assets & Recapture. Section 1231 Assets are fixed assets used in a trade or business for more than 1 year
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Section 1231 Capital Gain Treatment of Assets Used in Trade or Business (Losses on Assets Used in Trade or Business Are Ordinary)
Section 1231 Assets & Recapture • Section 1231 Assets are fixed assets used in a trade or business for more than 1 year • If used less than one year, no capital gain treatment would apply • Gains on disposal of these assets receive capital gain treatment subject to recapture • Losses receive ordinary treatment • File Form 4797 for disposition of these assets.
43. Which one of the following is not generally considered §1231 property? a. Land held thirteen months and used in a trade or business as a parking lot b. Crops growing on farm land held 20 years c. Cattle held 14 months and used in ranching d. Equipment used in a printing business and held 15 months What a hard question! Answer: a & d are clearly Sec. 1231 property. Crops generally are ordinary income property – but only after they’re harvested! They’re 1231 property if still growing. Livestock must normally be held only 12 months to qualify – but not cattle! They must be held 24 months. “C” is the correct answer.
Netting Process • Net Sec. 1231 gains & losses from casualty/theft • If net gain, add to other 1231 gains • If net loss, then treat each item separately: gains are ordinary and losses also ordinary • Net other Sec. 1231 gains & losses • If loss, all ordinary • If gain, capital gain treatment subject to depreciation recapture & lookback period
44. G sold a file cabinet used in her business for $250. She had purchased it for $400 and deducted depreciation of $220. What is the amount and character of G's gain or loss recognized on this sale? a. $70 ordinary income b. $70 § 1231 gain c. $150 § 1231 loss d. $220 ordinary income and $150 § 1231 loss
Lookback • To avoid taxpayers taking gains in one year, losses in another to maximize their tax positions (rather than offsetting tax liabilities), *if* a Section 1231 netting results in a gain, that gain is offset against the non-recaptured Section 1231 losses from the previous 5 years. • That is, gains will be treated as ordinary (not capital) to the extent that there were ordinary losses on Sec. 1231 assets in the previous 5 yrs.
Depreciation Recapture • Applies to personal, depreciable (Sec. 1245) property. • Includes property that was Sec. 179’d. • Once the gain on the property is figured, the gain is treated as ordinary to the extent that it was deducted as (ordinary) depreciation/179. • Put another way, with recapture, there are only capital gains treatment where you sell the asset for more than you bought it for.
Example • An asset was purchased for $12,000, and $8,000 of depreciation was taken. The asset was sold for $5,000. What was the gain? • $5,000 - ($12,000 – 8,000) = $1,000 • How much of this gain gets capital treatment? • None (you did not sell it for more than you bought it for; all of the $1,000 (the lower of $1,000 gain or $8,000 depreciation) is recaptured as ordinary income
Example • An asset was purchased for $12,000, and $8,000 of depreciation was taken. The asset was sold for $15,000. What was the gain? • $15,000 - ($12,000 – 8,000) = $11,000 • How much of this gain gets capital treatment? • $3,000(which is how much more you sold it for than you bought it for; all of the $8,000 (the lower of $11,000 gain or $8,000 depreciation) is recaptured as ordinary income.
Section 1250 Depreciable Real Estate • Land not included, because it’s not depreciable. • Pre-1987 purchases have separate rules that may trigger recapture • Most recapture is “timed out” • Rather than recapture (at ordinary rates) the depreciation taken (up to the amount of gain), we tax it at a 25% rate. • That’s a tax break, but not as big as the 15% rate would have generated.
Special 1245 & 1250 Exceptions • Gifts: recapture carries over to donee • Death: recapture potential extinguished • Nontaxable exchange: recapture generally carries over to new property • Installment sales: recaptured gain must be recognized in year of sale(!) • Related party sales: gains treated as ordinary if purchaser will depreciate property • Special Sec. 291 recapture on Sec. 1250 real estate applies to regular corporations