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Chapter 16. Accounting Periods and Methods. The Big Picture (slide 1 of 3). Belinda, Pearl, Inc. (a C corp.), and Tweety, Inc. (an S corp.), are going to form the Silver Partnership. The ownership interests and tax years of the partners are as follows:
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Chapter 16 Accounting Periods and Methods
The Big Picture (slide 1 of 3) Belinda, Pearl, Inc. (a C corp.), and Tweety, Inc. (an S corp.), are going to form the Silver Partnership. The ownership interests and tax years of the partners are as follows: Partner Partnership InterestTax Year Ends Belinda 25% December 31 Pearl, Inc. 35% November 30 Tweety, Inc. 40% June 30 The partnership will begin business on April 1, 2014. 2
The Big Picture (slide 2 of 3) The partners have several issues they would like for you to address. A potential conflict exists among the partners regarding when the tax year should end for Silver. Belinda and Pearl would like a year-end close to their own year-ends. Tweety would like to have a June 30 year-end. Who makes this decision? Tweety, since it owns more of the partnership? Belinda and Pearl, since collectively they own more of the partnership? 3
The Big Picture (slide 3 of 3) Silver will begin business on April 1, 2014 Will the first tax year be a ‘‘short’’ tax year or a ‘‘long’’ tax year? Will annualization of the net income of the partnership be required? When will the partners report their share of Silver’s net income or net loss on their respective income tax returns? Belinda is a cash basis taxpayer, and the other partners use the accrual method to report their incomes. What accounting method must be used to compute Belinda’s share of the partnership income? Read the chapter and formulate your response. 4
Accounting Periods(slide 1 of 3) Taxable year The tax year may be shorter but is usually not longer than 12 months Taxpayer elects a tax year by the timely filing of the initial return Permission to change taxable years must be obtained from the IRS 5
Accounting Periods(slide 2 of 3) • Types of taxable years • Calendar year: January 1 – December 31 • Fiscal year: must start on the first day of a month and end the last day of a month, other than December, 12 months later • Example: July 1 – June 30
Accounting Periods(slide 3 of 3) • Types of taxable years • 52/53 week year: ends on same day of week that is either closest to its normal monthly year-end or occurs last in its year • Example: year-end is always the last Saturday in April
Accounting Periods— Partnerships • Tax year-end must be that of (in descending order) • Majority interest partners • Own a > 50% interest in partnership capital & profits • Principal partners • Partner with a 5% or more interest in partnership capital or profits • Least aggregate deferral of income
The Big Picture - Example 3Least Aggregate Deferral Method (Slide 1 of 3) Return to the facts of The Big Picture on p. 16-1. The Code and Regulations eliminate the need for the Silver partners to bargain among themselves over the tax year-end. The partnership’s tax year must end on November 30 Using that year-end results in the least aggregate deferral of partnership income. See the following calculation. 9
The Big Picture - Example 3Least Aggregate Deferral Method (Slide 2 of 3) Return to the facts of The Big Picture on p. 16-1. 10
The Big Picture - Example 3Least Aggregate Deferral Method (Slide 3 of 3) Return to the facts of The Big Picture on p. 16-1. 11
Accounting Periods—S Corps and PSCs • Generally, these entities must have a calendar year • Other tax years may be available if certain requirements can be met
Accounting Periods—Other Allowable Year-Ends • Partnerships, S corps, and PSCs can elect to have other fiscal year-ends if any of the following are met: • A valid business purpose can be shown • §444 election is made and year-end results in no more than a 3-month deferral • Requires certain payments • §444 election was made to retain the same year as was used for the fiscal year ending in 1987 • Requires certain payments
Accounting Periods—Valid Business Purpose • IRS acknowledges only one valid business purpose for using a fiscal year-end • Conforming the tax year to the entity’s natural business year (seasonal businesses) • Example: a September 30 year-end may be a natural business year-end for a swim suit manufacturer
Accounting Periods—§444 Deferral and Required Tax Payments • Partnerships and S corporations (not their owners) must make tax payments at the highest individual rate plus 1% (e.g., 40.6%) on estimated deferral period income • The amount due is reduced by the amount of required tax payments for the previous year
Accounting Periods—§444 Deferral and Required Salary Payments • PSCs must pay shareholder-employees salaries during the deferral period that are at least proportionate to their salaries for the preceding fiscal year • Failure to make required salary payments reduces PSCs deduction for salaries paid to shareholder-employees
Example of §444 Deferral and Required Salary Payments • PSC has October 31 year-end and cannot satisfy the business purpose test for a fiscal year • Provides 2 month deferral • Has one shareholder-employee with $60,000 in salary for prior fiscal year • PSC should pay shareholder-employee at least $10,000 in salary during the deferral period • $60,000 × 2/12 = $10,000
Change in Accounting Period • Must obtain IRS consent before changing tax year • IRS will not consent to a change unless taxpayer demonstrates a substantial business purpose for change, such as changing to natural business year
Change in Accounting Period—Natural Business Year • Objective test: At least 25% of entity’s gross receipts are realized in the final 2 months of the desired tax year for 3 consecutive years • IRS usually establishes certain conditions that the taxpayer must accept if approval for change is to be granted • In particular, if the taxpayer has a net operating loss (NOL) for the short period, the IRS requires that the loss be carried forward • The loss cannot be carried back to prior years
Accounting Periods—Short Taxable Year • A short taxable year is a period of less than 12 calendar months • Can occur in the first taxable year, the last taxable year, or when there is a change in the taxable year • If the short-period year is caused by a change in taxable year, the short-year income must be annualized • Necessary due to the progressive tax rate structure
Mitigation of the Annual Accounting Period Concept (slide 1 of 2) • Several Code provisions provide relief from harsh results produced by the combined effects of an arbitrary accounting period & a progressive rate structure, for example • NOL carryover rules • A loss in one year can be carried back 2 years & carried forward for 20 years • Special relief is provided for casualty losses pursuant to a disaster and for reporting insurance proceeds from destruction of crops
Mitigation of the Annual Accounting Period Concept (slide 2 of 2) • Farmers and fishermen • Often subject to wide fluctuations in income • Allowed to use an averaging system that helps avoid higher marginal tax rates associated with a large amount of income received in one year • Crop insurance proceeds may be received in a year before the income from the crop would have been realized • Allowed to defer reporting the income until the year following the disaster • Section 451(e) provides similar relief when livestock must be sold on account of drought or other weather-related conditions
Accounting Methods(slide 1 of 10) • There are 3 generally permissible overall methods of accounting • Cash receipts and disbursements method • Accrual method • Hybrid method • Generally, any of the three methods of accounting may be used • Must be consistently employed and clearly reflect income • In most cases the taxpayer is required to use the accrual method for sales and costs of goods sold if inventories are an income-producing factor
Accounting Methods(slide 2 of 10) • Cash receipts and disbursements method • Income is recognized when it is actually or constructively received • Expenses are deductible when they are paid • Most courts have applied the “one year rule” for prepaid expenses • Requires that prepaid expenses whose benefits extend beyond the end of the following tax year must be capitalized
The Big Picture - Example 14Cash Equivalent(Slide 1 of 2) Return to the facts of The Big Picture on p. 4-1 in Chapter 4. Recall that Dr. Cliff Payne has opened a dental practice as a sole proprietorship and does not accept credit cards. In the 2nd year of business, he adopts a policy requiring that patients either pay cash when services are performed or give him a note receivable with interest at the market rate. Generally, the notes can be sold to the local banks for 95% of their face amount. 25
The Big Picture - Example 14Cash Equivalent(Slide 2 of 2) Return to the facts of The Big Picture on p. 4-1 in Chapter 4. At the end of the 2nd year, Dr. Payne has $60,000 in notes receivable from patients. The notes receivable are a cash equivalent and have a fair market value of $57,000 ($60,000 X 95%). Therefore, Dr. Payne must include the $57,000 in his gross income for this year. 26
Accounting Methods(slide 3 of 10) • Cash receipts and disbursements method - Restrictions on use • Cash method cannot be used by corporations, partnerships with a corporate partner, and tax shelters • Exceptions: • Farming business • Qualified PSC • An entity that is not a tax shelter whose average annual gross receipts for most recent three-year period are $5 million or less
Accounting Methods(slide 4 of 10) • Restrictions on use of cash method (cont’d) • As an administrative convenience, the IRS permits the following entities to use the cash method • Entities with $1 million or less average annual gross receipts during last three-year period (even if buying and selling inventory) , and • Certain entities with average annual gross receipts of greater than $1 million but not more than $10 million during last three-year period with the following restrictions • Inventory on hand at the end of the tax year cannot be deducted until the inventory is sold (i.e., must be capitalized) • Not eligible are entities whose principal business activity is selling goods, manufacturing, mining, and certain publishing activities
Accounting Methods(slide 5 of 10) • Special Rules for Small Farmers • Although inventories are material to farming operations, the IRS allows small farmers to use the cash method of accounting • Applies to unincorporated farms and closely held farming corps with gross receipts < $25 million • Must still capitalize costs of raising trees with preproduction period > two years
Accounting Methods(slide 6 of 10) • Special Rules for Small Farmers (cont’d) • Farmers producing crops that take > 1 year from planting to harvesting can elect to use the crop method to report income • Under the crop method, costs of raising crops are capitalized and then deducted in year income from crop is realized • Cash basis farmers must capitalize the purchase price of animals, whether acquired for sale or breeding • The costs of raising the animal can be expensed
Accounting Methods(slide 7 of 10) • Accrual method: Income • Income is recognized when it is earned • Income is earned when all events have occurred to fix the taxpayer’s rights to the income, and • The amount can be determined with reasonable accuracy
Accounting Methods(slide 8 of 10) • Accrual method: Deductions • Expenses are deductible when a three-part test is met: the all events test, the amount is determinable with reasonable accuracy, and the economic performance test • The economic performance test is waived for certain recurring items
Accounting Methods(slide 9 of 10) • Hybrid method involves the use of more than one method • e.g., A combination of cash and accrual methods • Generally used when inventory is a material factor • e.g., Accrual accounting used for determining gross profit from inventory & cash accounting used to report other income & expenses
Accounting Methods(slide 10 of 10) • Change in accounting method • Taxpayer elects accounting method for subsequent years by filing the initial return • Must obtain permission from IRS to change accounting methods • Adjustments may be required to prevent distortion of taxable income • Correction of error is not a change in accounting method
Disposition Of Net Adjustment From Change in Accounting Method (slide 1 of 2) • Required changes in accounting methods are the result of an IRS examination • IRS will not require a change unless the net adjustment is positive • Adjustment generally must be included in gross income for the year of the change • Additional tax and interest on the tax will be due • If adjustment is > $3,000, the taxpayer can elect to calculate tax by spreading adjustment over one or more previous years
Disposition Of Net Adjustment From Change in Accounting Method (slide 2 of 2) • For voluntarily changes from incorrect methods and to facilitate changes from one correct method to another • IRS generally allows the taxpayer to spread a positive adjustment into future years • 1/4th of the adjustment is applied to the year of change, and 1/4th of the adjustment is applied to each of the next 3 taxable years • A negative adjustment can be deducted in the year of the change
Installment Method(slide 1 of 11) • Installment method of reporting gain allows the taxpayer to recognize gain as payments on the sale are received
Installment Method(slide 2 of 11) • To qualify for installment treatment, the taxpayer must receive at least one payment after the year of sale • May elect out of installment treatment
Installment Method(slide 3 of 11) • Installment treatment is not allowed for the following: • Gains on property held for sale in the ordinary course of business • Depreciation recapture under §1245 and §1250 • Sale of securities traded on established markets • As an exception to the first item (above), the installment method may be used to report gains from sales of the following • Time-share units (e.g., the right to use real property for two weeks each year) • Residential lots (if the seller is not to make any improvements) • Any property used or produced in the trade or business of farming
Installment Method(slide 4 of 11) • Computing the gain recognized: • Gain recognized each year is dependent on the payments received during the year • Recognized Gain = Total gain×Payments Received Contract Price
Installment Method(slide 5 of 11) • Definitions • Total gain = selling price less selling expenses less adjusted basis of property • Contract price = Sales price less liabilities assumed by buyer • Generally is equal to amount (other than interest) seller will receive from purchaser
Installment Method(slide 6 of 11) • If liabilities assumed by buyer exceed the seller’s basis and selling expenses • The difference must be added to the contract price and to payments received in year of sale
Installment Method(slide 7 of 11) • Depreciation recapture under §1245 & §1250 • Depreciation recapture is ineligible for installment treatment • All recapture must be recognized in year of sale • Because most, if not all, of the gain on the sale of tangible property is §1245 recapture, benefit of installment treatment is generally limited to sales of real property
Installment Method(slide 8 of 11) • Imputed interest • Deferred payment contracts where the sales price exceeds $3,000 • Reasonable rate of interest (at least the applicable Federal rate) must be charged by taxpayer on the outstanding balance • Failure to charge adequate interest will result in imputed interest at Federal rate
Installment Method(slide 9 of 11) • Related party installment sales • Limitations on the use of the installment method • Nondepreciable property: disposition of property by related purchaser generally accelerates recognition of gain on installment obligation for related seller • Depreciable property: installment method is not available on sale to controlled entity (i.e., more than 50% interest) unless it can be demonstrated that tax avoidance was not a principal purpose
Installment Method(slide 10 of 11) • Disposition of obligation • Generally, disposition of an installment obligation triggers recognition of remaining deferred gain • The gift or cancellation of an installment note is treated as a taxable disposition by the donor • The amount realized from the cancellation is the face amount of the note if the parties (obligor and obligee) are related to each other • Exceptions are provided for the following transfers • Tax-free incorporations under § 351 • Contributions of capital to a partnership (transferor partner is taxed on the income when the partnership collects) • Certain corporate liquidations • Transfers due to the taxpayer’s death, and • Transfers between spouses or incident to divorce • In such situations, the deferred profit is shifted to the transferee • Transferee is responsible for payment of tax on subsequent collections
The Big Picture - Example 34Disposition of Installment Obligations Return to the facts of The Big Picture on p. 16-1. Assume that Belinda’s capital contribution to the partnership in 2014 was an installment obligation with a basis of $40,000 and a face amount of $100,000. In 2015, the partnership collected the $100,000. The transfer in 2014 was not a taxable disposition, but in 2015 when the receivable is collected, Belinda is required to recognize a gain of $60,000. 47
Installment Method(slide 11 of 11) • Interest on deferred taxes • Required to pay interest on the deferred taxes related to the excess obligation amount (excess of $5 million) when • Installment obligation is from sale of property for more than $150,000, and • Sum of such obligations outstanding at year-end exceeds $5 million
Long-Term Contracts(slide 1 of 5) • Long-term contract defined • A building, installation, construction, or manufacturing contract that is not completed within the same taxable year in which it began • A manufacturing contract is long-term only if a contract to manufacture: • A unique item not normally carried in finished goods inventory, or • Items that normally require more than 12 months to complete
Long-Term Contracts(slide 2 of 5) • Methods of accounting for long-term contracts • Completed contract: Home construction and certain other real estate construction contracts if • The contract is expected to be completed within the two-year period beginning on the commencement date of the contract • The contract is performed by a taxpayer whose average annual gross receipts for the 3 preceding taxable years do not exceed $10 million • Percentage of completion: All other contracts