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C Corp Distribution Lingo. 1. Dividend – Corp distributes cash or property to shareholders as a result of operations – not part of redemption of stock or liquidation. Distribution is “with respect to stock” and qualifies as dividend under 316.
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C Corp Distribution Lingo 1. Dividend – Corp distributes cash or property to shareholders as a result of operations – not part of redemption of stock or liquidation. Distribution is “with respect to stock” and qualifies as dividend under 316. 2. Return of Capital - Corp distributes cash or property with respect to its stock which is not 316 dividend, nor part of redemption or liquidation. 3. Stock dividend – Corp distributes its own stock or debt obligation to its shareholders as a result of operations – not associated with a redemption or liquidation. 4. Redemption – Corp distributes money or property to shareholder to purchase (or redeem) stock owned by the shareholder. 5. Liquidation – Corp distributes money or property to shareholder as part of plan to liquidate or partially liquidate the business of the corporation. LLM Corporate Tax Instructor: Dwight Drake
316 “Dividend” Definition Distribution is treated as dividend if: 1. Out of earnings and profits accumulated since 2/28/1913 2. Out of its earnings and profits for the current year, determined at end of year and without regard to E & P amount at time of distribution. Priority rules: - Every distribution deemed made from E & P to the extent thereof. Corp can’t designate otherwise. - Distributions deemed made from the most recent E & P. LLM Corporate Tax Instructor: Dwight Drake
The 301 Triple Tax Priority Distribution Amount: Amount of money plus fair market value of property distributed. Triple Priority: Distribution with respect to stock: Priority One: If dividend under 316, included in gross income. Priority Two: If not dividend, applied to reduce adjusted basis of stock. Tax free return of capital. Priority Three: If exceeds basis, excess treated as gain from the sale or exchange of property. LLM Corporate Tax Instructor: Dwight Drake
Determining E & P Concept: The true economic growth and improvement of the corporation. No precise definition. Calculation: Start with taxable income, then: Increase for other economic gains: Tax exempt interest, life insurance proceeds, tax refunds, etc. (but not nonrecognition gains under 1033, 351, etc.) Increase for deductions that have no economic effect: Dividends received deduction, excess percentage depletion, etc. Decrease for economic losses not reflected in taxable income: federal taxes, losses between related parties, excess T & E expenses Timing differences: Depreciation, 453 installment sales; FIFO inventory, etc. LLM Corporate Tax Instructor: Dwight Drake
Problem 168 Current Earnings and Profits Calculation: Taxable Income 8,450 Add Items: Tax-exempt interest 3,000 Dividend deduction 3,500 Excess Depreciation 1,800 (STL, half yr. convention) Total Increases 8,300 Subtract Items: Excess LTGL (current only) 2,500 Est. fed taxes 800 Total Decreases (3,300) Current E & P 13,450 LLM Corporate Tax Instructor: Dwight Drake
Problem 168 Taxable Income Calculation: Income items: Gross profit from sales 20,000 Dividends 5,000 LTCG 2,500 Total 27,500 Deductions Salaries 10,250 Dividend deduction (243) 3,500 Depreciation 2,800 LTCL (To extent of LTCG) 2,500 Total 19,050 Taxable Income 8,450 LLM Corporate Tax Instructor: Dwight Drake
Problem 172 Basic Facts: A owns all common stock of P Corp, basis of 10k from prior 351 exchange. Year 1: 5k current E&P, no accumulated E&P, 17.5k distribution. What tax effect. - 5k dividend for current E&P per 316 and 301. - 10k return of capital - 2.5k treated as gain on sale of stock per 301. May be LTCG. A stock basis reduced to 0. P Corp’s E&P is 0. Year 2: 15k deficit in accumulated E&P. Current E&P 10k and 10k distributed to A. - A has 10k dividend per 316(a)(2). - P Corp’s accumulated deficit E&P remains at 15k. - P Corp’s current E&P reduced to 0 per 312(a)(1). LLM Corporate Tax Instructor: Dwight Drake
Problem 172 Basic Facts: A owns all common stock of P Corp, basis of 10k from prior 351 exchange. Year 2: 10k accumulated E&P. 4k current E&P. April 1 – 10k to A. July 1 – A sells ½ stock to B for 15k. Oct 1 – 5k to A, 5k to B. - Current E&P allocated pro rata to all distributions in year. Accumulated E&P allocated on first come-first serve basis. Thus… - April 1 10k distribution to A: 2k from current E&P and 8k from accumulated. Current reduce to 2k, accumulated reduced to 2k (10k-8k). - October 1 10k distribution to A & B: 2k for current (1k each) and 2k from accumulated (1k each). Each have return of capital of 3k (5k-2k). P Corp E&P reduced to 0. LLM Corporate Tax Instructor: Dwight Drake
Problem 172 Basic Facts: A owns all common stock of P Corp, basis of 10k from prior 351 exchange. (d) Year 2: 10k accumulated E&P. 10k current deficit E&P. April 1 – 10k to A. July 1 – A sells ½ stock to B for 15k. Oct 1 – 5k to A, 5k to B. - Current E&P deficit allocated pro rata during year to reduce accumulated E&P. Accumulated E&P allocated on first come-first serve basis. Thus… - April 1 10k distribution to A: 2.5 k from current deficit (1/4 year), so accumulated E&P down to 7.5k. Dividend 7.5k, return of capital 2.5k. - October 1 10k distribution to A & B: No E&P left, so all return of capital. - B’s basis reduced from 15k to 10k. - A’s 10k basis reduced to 7.5k by 4/1 distribution and to 2.5k by 10/1 distribution. Sale of half stock to B creates 13,750 gain (15k less 1.25k basis). LLM Corporate Tax Instructor: Dwight Drake
S Corp Distributions - 1368 No C corp E&P First - Tax free to extent of shareholder’s basis in stock. Reduce basis per 1367. Second - Excess treated as gain from the sale of stock. Yes C corp E&P First - Tax free reduction of basis to extent of AAA (accumulated adjustment account). Second - Taxable dividend to extent of accumulated E &P. Third - Tax free reduction in basis to extent of remaining basis in stock. Fourth – Excess treated as gain from the sale of stock. LLM Corporate Tax Instructor: Dwight Drake
Problem 712 - 1 Basic Facts: A Corp calendar year S; D owns 1/3, share basis 3k; M owns 2/3, share basis 5k; Corp has 9k net operating income, 3k LTCG. A Corp distributes 5k to D and 10k to M on 10/15. D: 3k of ordinary income; 1k LTCG. Basis adjusted up 4k to 7k. Basis adjustment required before characterizing distribution. 5k reduces basis to 2k. M: 6k ordinary income; 2k LTCG. Basis pre-distribution up to 13k; after 10k distribution down to 3k. A Corp distributes 8k to D, 16k to M. D: Pre-distribution 7k basis reduced to zero. 1k gain on sale of stock. M: Pre-distribution 13k basis reduced to zero; 3k gain on sale. LLM Corporate Tax Instructor: Dwight Drake
Problem 713 - 1 Basic Facts: A Corp calendar year S; D owns 1/3, share basis 3k; M owns 2/3, share basis 5k; Corp has 9k net operating income, 3k LTCG. A Corp redeems all D’s stock for 20k on 12/31. Basis still 7k. 13k gain recognized on sale. 10/15, redeem ¼ D stock for 5k, ¼ M stock for 10k. Considered dividend because pro rata. Same answer as (a). (e) Land to D – 8k FMV, 9k basis. Land to M – 16k FMV, 13k basis. D: No loss to corp; 1k of 3k gain on land to M increase pre-distribution basis to 8k; land distribution reduce basis by FMV (8k) to zero. D basis in land 8k. M: Corp has 3k gain, 2k allocated to M. Pre-distribution basis is 15k. Land distribution 16k; 1k treated as gain on stock sale. M basis in land is 16k. LLM Corporate Tax Instructor: Dwight Drake
Problem 713 - 1 Basic Facts: A Corp calendar year S; D owns 1/3, share basis 3k; M owns 2/3, share basis 5k; Corp has 9k net operating income, 3k LTCG. 12% notes distributed by A Corp, 8k FMV to D, 16K FMV to M. No corp gain under 311(b)(1)(A). D – 7k pre-distribution basis; zero basis post-distribution; 1k gain on stock sale; basis in note 8k. M – 13k pre-distribution basis; zero basis post-distribution; 3k gain on stock sale; basis in note 16k. LLM Corporate Tax Instructor: Dwight Drake
Problem 713 - 2 Basic Facts: P Corp new S corp, 6k accumulated E&P from C years. O & N equal shareholders – O basis 5k, N basis 1k. P current operating income 6k (32-18-8) and LTCG of 4k. Distributes 5k to each of O and N on 11/15. - Basis of each increased 3k plus 2k, or 5k. O basis pre-distribution increased to 10k, then down to 5k post-distribution. - N basis pre-distribution basis to 6k, then reduced to 1k post-distibution. - P Corp accumulated adjustment account increased 10k for earnings (6k plus 4k) and then reduced 10k for distributions. Hence, zero. Same, but 10k each distribution. O – 5k current accum. adj account; 3k accumulated E&P; 2k reduction in basis. Basis reduced to 3k. N – 5k accum adj. account; 3k accumulated E&P; 1k basis recovery; 1k gain on stock sale. Stock basis 0. P Corp – accum adj account is zero. LLM Corporate Tax Instructor: Dwight Drake
Problem 713 - 2 Basic Facts: P Corp new S corp, 6k accumulated E&P from C years. O & N equal shareholders – O basis 5k, N basis 1k. P current operating income 6k (32-18-8) and LTCG of 4k. Same as (a), but P Corp also received 4k tax exempt interest and distributes 2k each to N and O. N – Basis in stock increased to 8k (1k plus 5k plus 2k). 5k is distribution of accum. adjustment account (which not increased for tax-exempt interest); 2k extra distribution dividend of C corp earnings. N stock basis 3k. O – Basis in stock increased to 12k (5k plus 5k plus 2k). 5k is distribution of accum. adjustment account (which not increased for tax-exempt interest); 2k extra distribution dividend of C corp earnings. N stock basis 7k. (d) N sells stock to R for 6k on 1/1 next year. 10k accumulated E&P. No earnings next year. Corp distributes 6k to R in 2/15. 5k basis recovery from accum adj. account picked up as N’s transferee. 1k dividend from C corp E&P. LLM Corporate Tax Instructor: Dwight Drake
Problem 713 - 2 Basic Facts: P Corp new S corp, 6k accumulated E&P from C years. O & N equal shareholders – O basis 5k, N basis 1k. P current operating income 6k (32-18-8) and LTCG of 4k. No distribution current year. 1/1 next year revoke S election. 5k E&P next year and 7k distribution to each shareholder on 8/1 next year. - Per 1371(e)(1) distributions of former S corp during “post-termination transition period” (1 yr after last S day) may be treated as basis recovery from accum. Adj. account. So, here 5k to each can be basis recovery (because that each share of 10k accum. Adjust. Acount from prior year) and 2k dividend. - Per 1371(e)(2), may elect to treat all as dividend. C corp E&P 11k (6k prior and 5k current), do dividend 5.5k to each if election made. Extra 1.5k treated as return of capital. LLM Corporate Tax Instructor: Dwight Drake