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Property Dispositions. Determining tax consequences of a property disposition can be complex. In order to correctly determine the tax consequences, the recognized gain (loss) must be determined and type of property disposed of must be properly classified. Tax Impact on Cash Flow. Taxes paid on a
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1. PropertyDispositions Chapter 7
2. Property Dispositions Determining tax consequences of a property disposition can be complex.
In order to correctly determine the tax consequences, the recognized gain (loss) must be determined and type of property disposed of must be properly classified
3. Tax Impact on Cash Flow Taxes paid on a recognized gain reduce net cash flow
Tax savings generated by a recognized loss increase net cash flow
Tax impact of a recognized gain (loss) on cash flow is affected by the
Type of asset and its holding period
Type of taxpayer
Taxpayers marginal tax rate
4. Types of Dispositions Sale Seller receives cash or cash equivalents in return for property disposed of
Exchange Taxpayer receives qualified property other than cash or cash equivalents in return for property transferred to another party
Involuntary Conversion Complete or partial destruction due to events not under control of taxpayer (e.g., condemnation, theft, casualty)
Abandonment Property permanently withdrawn from use
5. Types of Dispositions To accurately determine the recognized gain (loss) in a property disposition, three conditions must be known:
Realized gain (loss)
Owners holding period
No applicable provision allowing nonrecognition or postponement of gain (loss)
The character of the gain (loss) is determined by the type of property disposed
6. Realized Gain (Loss) Cash
+ FMV of property received
+ Sellers liabilities assumed by the buyer
- Buyers liabilities assumed by the seller
- Selling expenses
Amount Realized
- Adjusted basis of property given up
Realized gain (loss)
7. Recognized Gain (Loss) Realized gains are recognized (taxable) unless the code provides for nonrecognition or postpones recognition
Losses are generally recognized (deductible) only if they are
Incurred in a business
Incurred in an investment activity
Casualty or theft losses
8. Holding Period Holding period - Period of time taxpayer is credited with owning the property
Usually begins on date of acquisition unless a carryover or substituted basis applies for the asset acquired
Property held for more than one year receives favorable tax treatment if either a
Section 1231 asset or
Capital asset
9. Holding Period For gifts, the holding period carries over from donor
Exception when FMV at date of gift is used for basis, holding period begins on date of gift
Inherited property always takes a long-term holding period
10. Types of Assets Section 1231 assets Fixed assets (property, plant, and equipment) used in a trade or business and held for more than one year
Capital assets Investment and personal-use assets
Ordinary income assets Inventory, accounts receivable, and all other assets that are neither Section 1231 nor capital assets
11. Section 1231 Assets Section 1231 assets include:
Property used in a business that is subject to cost recovery deductions and is held for more than one year (long-term holding period)
Land used in a business that is held for more than one year
All of a taxpayers gains (after depreciation recapture) and losses from Section 1231 property dispositions are netted to determine tax treatment
12. Determining Net Section 1231 Gain (Loss) Treatment
13. Determining Net Section 1231 Gain (Loss) Treatment
14. Depreciation Recapture Converts recognized gain attributable to the reduction in basis that arises from depreciation deductions to ordinary income
Only applies to Section 1231 assets
Amount reclassified as ordinary income cannot exceed either the realized gain or prior depreciation deductions
Recapture provisions do not apply to realized losses
15. Section 1245 - Full Recapture Section 1245 property includes machinery, equipment, furniture, and fixtures (not buildings or structural components)
Gain on the sale of a Section 1245 asset is classified as ordinary income to the extent of all depreciation allowed (or allowable)
Any Section 179 expense is considered depreciation allowed
The portion of the gain reclassified is lesser of all depreciation taken or realized gain
16. Section 1250 - Partial Recapture Section 1250 applies to realty
Differs from Section 1245 because only the excess of accelerated depreciation over straight line depreciation is recaptured
Thus, for realty placed in service after 1986 (on which straight-line depreciation must be used) Section 1250 recapture is, in theory, $0. Why in theory?
Section 291 for corporations
Section 1250 unrecaptured gain for individuals
17. Section 291 Recapture Section 291 only applies to corporate dispositions of realty (Section 1250 property)
Reclassifies as ordinary income 20% of any Section 1231 gain that would have been ordinary income if Section 1245 recapture applied
For realty acquired after 1986,
Section 291 recapture = Section 1245 recapture x 20%
Reduces capital gains that would otherwise be available to offset corporate capital losses
18. Unrecaptured Section 1250 Gain For individuals, unrecaptured Sec.1250 gains are the net Sec.1231 gains on realty that are treated as long-term capital gains after Sec. 1231 netting (up to amount of Sec. 1245 recapture if the Section 1245 recapture rules applied)
The taxable long-term capital gains attributable to prior depreciation deductions are taxed at a maximum rate of 25%
19. Section 1231 Netting, Revisited
20. Section 1231 Netting, Revisited
21. Section 1231 Netting, Revisited
22. Section 1231 Look-Back Rules Net Section 1231 gains are taxed as ordinary income to the extent of any unrecaptured net Section 1231 losses in the five preceding years
This prevents taxpayers from generating tax savings by bunching their Section 1231 gains into one year (to receive tax-favored long-term capital gains treatment) and losses into alternate years (deducting the Section 1231 losses in full against ordinary income)
23. Capital Assets Capital assets include stocks, bonds, land held for appreciation, collectibles (coins, art), and personal-use assets
Long-term holding period is more than one year
Short-term holding period is one year or less
24. Capital Gain (Loss) Netting
25. Capital Gain (Loss) Netting A (net) short-term capital gain resulting from the netting process is taxed at ordinary income rates
Taxation of capital gains and losses differs for corporations and individuals
26. Capital Gains (Losses) - C Corps No current deduction for net capital losses; carry back 3 years and forward 5 years
Offset only capital gains
Both long-term and short-term capital gains taxed at ordinary income rates
Why are capital gains and losses segregated from ordinary gains and losses? Capital losses only offset capital gains
27. Capital Gains - Individuals 15% rate applies to most long-term capital gains for individuals
Higher rates apply for specific types of capital assets (e.g., 25% for unrecaptured Sec. 1250 gain on realty and 28% for collectibles)
Lower rates may apply to individuals in low tax brackets
28. Capital Losses - Individuals $3,000 per year deduction against other income for net capital losses; (net) short-term capital losses deducted before (net) long-term capital losses
Remaining (net) capital losses are carried forward indefinitely (no carry back permitted)
Losses on personal-use assets are not recognized (deductible) even though gains are recognized (taxable)
29. Ordinary Income Property Ordinary income property includes:
Business assets that do not meet the Section 1231 more-than-one year holding period
Inventory
Accounts and notes receivable arising from sale of goods or services by a business
Any other asset that is not a capital or a Section 1231 asset
Gains taxed as ordinary income and losses are fully deductible
30. Mixed-Use Property Property that is used partly for business and partly for personal use must be divided into Section 1231 property and personal-use property
Gain or loss determined separately for business and personal-use portions
Character of each portion dictates tax treatment
31. Investments in New Corporations Code Sections 1244 and 1202 encourage investment in new (i.e., small) corporations by
1. Reclassifying a portion of a loss on the sale of such stock as ordinary (Section 1244)
2. Excluding a portion of the gain on the sale of such stock from gross income (Section 1202)
32. Section 1244 Stock While losses on the disposition stock are generally classified as capital losses, Section 1244 permits ordinary loss deduction of up to $50,000 ($100,000 for joint returns) annually for losses on qualified stock
Applicable only to an individual or partnership that is the original investor in a domestic small business corporation
Any excess loss (over the allowable Section 1244 amount) is a capital loss
33. Section 1244 Stock To qualify as Section 1244 stock
Total capitalization cannot exceed $1 million and
For the 5 preceding years
Corporation must be an operating company deriving 50% or more of its annual gross revenues from the sale of goods or services
No more than 50% of income can be derived from rents, royalties, dividends, interest, annuities and gain on sales of securities
34. Section 1202 Stock To be a qualified small business corporation under Section 1202, the corporation must
Be a domestic C corporation,
Have no more than $50 million in assets, and
Be an active business engaged in manufacturing, retailing, or wholesaling
Seller of stock must be the original owner who acquired the stock in exchange for money, property, or services
35. Section 1202 Stock If the criterion of Section 1202 are satisfied and the qualified small business stock has been held for more than 5 years, taxpayers may exclude up to 50% of the gain realized on the disposition of the stock
Remaining 50% of the gain is taxed at the 28% long-term capital gain rate
36. Section 1202 Stock Excluded gain cannot exceed the greater of
10 times the adjusted basis of qualifying stock sold in the tax year or
$10,000,000 less any gain excluded on qualifying stock in the preceding tax years by the taxpayer
If taxpayer holds stock at least 6 months and the proceeds from sale are invested in another qualified small business corporations stock, gain on sale will be deferred
37. Sale of Principal Residence An individual who has owned and occupied a home as a principal residence for at least 2 of the 5 years before the sale can exclude up to $250,000 of gain ($500,000 for qualified married taxpayers filing a joint return)
The full exclusion can be used only once every 2 years
38. Sale of Principal Residence Married taxpayers filing jointly can exclude up to $500,000 of gain if:
Either spouse owned the home for at least 2 of previous 5 years, and
Both spouses used the home as a principal residence for at least 2 of previous 5 years, and
Neither spouse is ineligible for the exclusion because of the once-every-2-year limit
39. Sale of Principal Residence Partial exclusion available if failure to meet two-year time period requirement is due to
A change in place of employment,
Health (moving into nursing home), or
Other unforeseen circumstance (e.g., divorce, death of spouse or co-owner, unemployment, disasters, involuntary conversion of residence)
40. Sale of Principal Residence Partial exclusion calculated by dividing the number of qualifying months by 24 and multiplying this fraction by $250,000 ($500,000 if qualifying jointly)
Qualifying months calculated as the shorter of:
Use and ownership during 5 preceding years or
Period of time that has passed since the taxpayer last claimed the exclusion
41. Sale of Principal Residence Residence does not lose status as a principal residence if temporarily rented during the period of time it is for sale
The exclusion does not apply to any gain attributable to depreciation claimed for rental or business use of the residence
The 25% rate for unrecaptured Section 1250 gain applies to gain up to the previous depreciation deductions
42. Sale to Related Party Losses on sales to related parties are disallowed
Related parties include brothers, sisters, spouses, ancestors and lineal descendents, as well as a more-than 50% owned corporation
If related buyer later sells property at a gain, this gain can be reduced (not below zero) by the sellers previously disallowed loss
43. Capital Gains Rates - Individuals 15% rate applies to most long-term capital gains
5% rate applies to taxpayers whose ordinary income is taxed at the 10% and 15% marginal tax brackets to the extent their long-term gains fall within these marginal tax brackets
44. Capital Gains Rates - Individuals 25% rate applies to Sec. 1250 unrecaptured gain on realty
Gain in excess of the recapture amount is taxed at 15% rate
Collectibles such as antiques, art objects, and rare coins are taxed at a 28% rate due to potential personal enjoyment of asset
For both 25% and 28% assets, if taxpayers ordinary income tax rate is 10% or 15%, then the lower ordinary income rate applies to gain that falls within that tax bracket
45. The End