Chapter 7 - Property & Special Property Tax Transactions Flashcards
what are the 3 types of assets that may be held by a taxpayer?
- ordinary income assets
- section 1231 assets (non current business assets)
- capital assets (non business assets)
what are ordinary income assets (current assets of a business)
these refer to assets that were acquired or produced with the intention of being sold in the ordinary course of business, and include inventory, business receivables resulting from sales of inventory or services and artistic works created by or for the taxpayer:
- inventory
- *receivables arising from sales
- *self-created artistic work (no special tax rules or limits
what are section 1231 assets (non-current business assets)
these are assets that are used in the trade or business and whose eventual sale or disposal is only incidental to the business. they include depreciable and amortizable assets, as well as land used in the business:
- **depreciable and amortizable property
- **land used in business, PP& E
- ** if held over 1 year; net loss is ordinary income; net gain is long term capital gain; prior depreciation is recaptured as ordinary income on tangible personal property.
- ** if held for less than a year its ordinary
what are capital assets (non business assets)
these are all assets that do not qualify as ordinary income or section 1231 assets, and include assets held for investment purposes as well as the assets of individual that are held for personal use by the taxpayer or the taxpayers family or household. Goodwill is treated as a capital asset as well as a government bond held by an individual investor, it is also considered a capital asset.
- ** investments (including stock options) , personal, family, household
- ** non business bad debts write offs are always short term capital losses.
what items are not considered capital assets according to the definition?
- property normally included in inventory or held for sale to customers in the ordinary course of business
- depreciable property and real estate used in business
- accounts and notes receivable arising from sales or services in the taxpayers business
- copyright, literary, musical or artistic compositions
- treasury stock
what is the tax treatment of ordinary income assets?
all gains and losses are fully included in the determination of taxable income with no special treatment or limitations of any kind
how are capital gains and losses treated?
capital gains and losses are combined to determine the net capital gain or loss for the year. a net capital gain is reported and included in taxable income (there is no special tax rate on long-term capital gains for a corporation)
a net capital loss of a corporation may not be deducted in the current year. instead, it may be carried back to offset net capital gains reported in one of the previous 3 tax years, and then carried forward to offset net capital gains in the next 5 years (the rules for individuals are radically different, no carryback, $3,000 per year may be deducted, and the remainder may be carried forward forever.
how are 1231 gains and losses determined?
it is determined from all of the sales that took place, the amount is transferred to the forms for ordinary or capital assets as follows:
- *net 1231 gain is the amount transferred to the schedule on which capital gains and losses are reported, and it is reported and it is reported as a long-term capital gain.
- *net 1231 loss is the amount transferred to the schedule on which ordinary income assets gains and losses are reported, and it will be treated as an ordinary loss to determine the net ordinary gain or loss for the year.
why is the 1231 tax treatment considered the best of both worlds?
because the gain is treated as a capital gain, it can be used to offset net capital losses that might otherwise not have been deductible in the current year.
since the loss is treated as an ordinary loss it is fully deductible with no limits.
in general, what are short-term capital transactions?
sales that take place within a year of the acquisition date
in general, what are long-term capital transactions?
those transactions held for longer than one year.
what are the two exceptions related to short-term & long-term capital transactions?
- inherited assets (sales are always classified as long-term)
- non business bad debts (write-offs are always classified as short-term capital losses)
can a corporation deduct a net capital loss?
no, if a capital loss exceed capital gains, the difference is carried back 3 years and forward 5 years. a net loss in any rate group is then applied to reduce the net gain in the highest rate group first (ex. 28%, 25%, then 15%)
for short term capital gains and losses, how are they grouped?
they are combined to determine the net short-term capital gain or loss for the year. long-term items are similarly combined to determine the net long term capital gain or loss for the year. if one is a net gain and the other a net loss, they are combined to produce a single net capital gain or loss for the year, which will be treated as having the character of the larger of the two numbers being combined. If the gains, they are reported separately. if both are losses, short-term losses are claimed first and then long-term losses subject to an overall limitation of $3,000 that can be offset against ordinary income each year (the remainder is carried forward indefinitely)
how do individuals benefit from a special tax rate of only 15%?
by their long term capital gains. individuals who are in the 15% or 10% tax bracket for ordinary income qualify for a 0% long term capital gains tax rate.
if high income taxpayers, then the 15% becomes 20% for MFJ earning $450,000+and single $400,000+ (457,600, 406,750 for 2014). No special rates for corporations.
what is the tax treatment for collectibles?
collectibles include works of art, rugs, antiques, metals (gold), gems, stamps, coins, alcoholic beverages and other certain tangible property. a special long term tax rate of 28% applies to all gains and losses which are reported on schedule D.
what is a depreciation recapture for 1245 assets?
the sale of 1245 tangible personal property that results in a gain due to the accelerated MACRS depreciation schedule.
the tax code requires that the gains be reported as ordinary income to the extent of prior depreciation.
what is a depreciation recapture for 1250 for real property?
when depreciable real property, consisting of buildings and structural components is sold at a gain, it is subject to section 1250 depreciation recapture. as a result, the amount of the gain up to additional depreciation is treated as an ordinary gain. any gain in excess is treated as section 1231 gain, considered a long term capital gain.
how is additional depreciation handled for section 1250 depreciation recapture?
- if the asset was held for 1 year or less, additional depreciation is all depreciation
- if the asset was held for more than 1 year, additional depreciation is depreciation in excess of the amount that would have been taken under straight-line. it is considered an ordinary gain. the uncaptured 1250 gain and treated as a section 1231 gain and taxed as a section 1231 gain and taxed as a long term capital gain at 25%
what is section 291?
when a c corporation sells section 1250 property at a gain, a portion of the gain, in addition to the recapture of additional depreciation, is treated as ordinary income. Under section 291 a c corporation calculates the difference between the amount of depreciation recaptured under section 1250 and the greater amount that would have been recaptured if the asset had been a section 1245 asset. basically the difference will be the amount of depreciation that would have been reported under the straight line basis.
- **20% of the difference is also treated as additional depreciation
- **as a result, the total ordinary gain to a C Corporation will include the difference between accelerated depreciation taken and the comparable straight-line amount PLUS 20% of the straight line amount
- **the total depreciation recaptured is limited to the recognized gain.
who must follow the uniform capitalization rules (UNICAP-Section 263A)
a corporation, partnership or sole proprietorship that has manufactured or constructed an asset for use, sale or resale, it must follow the uniform capitalization rules (UNICAP). any trade or business that produces real or tangible personal property; acquires property for resale with average annual gross receipts for past 3 years of more than 10 million; these cost will be recovered through either depreciation/amortization, or inventory, through cost of goods sold.
it requires the capitalization into inventory of virtually all direct costs, and part of the indirect costs, associated with the manufacture or resale of the asset (this differs from GAAP so as to increase tax liability to government). the unicap rules apply to costs incurred in manufacturing or constructing real or personal property, or in purchasing or holding property for sale.
Exclusions from UNICAP include:
selling
advertising
marketing and certain administrative expenses are also NOT required to be capitalized
what does the capitalized cost include
- pre production: design, bidding exp, purchasing
- production cost: direct materials, labor and production, indirect production costs (factory overhead)
- pre sale costs: storage, handling, excise tax (if levied before sale)
what other cost for inventory must generally be capitalized?
-most general, administrative, engineering and overhead costs associated with holding the assets such as storage costs, repackaging, warehousing prior to sale.
capitalized costs are the basis for depreciation of assets used in the trade or business and also determine the gain or loss on sale for all assets subject to these rules.
what other cost for inventory must generally would not be capitalized but would be expensed?
nonmanufacturing costs such as selling, advertising, marketing, research and development expenditures would be expensed as incurred. also, businesses with less than 10 million in gross receipts for past 3 years are not required to follow these rules.
what is the general rule for section 263 of the cost of an item of property for each invoice?
as long as it can be substantiated by an invoice. there is a de minimis annual expense election safe harbor of $5,000 per invoice or $5,000 per item, but an entity may be able to justify a greater amount if a higher threshold is used for financial reporting purposes.
what are the rules to qualify for the $5,000 per item deduction or invoice deduction?
- the entity must prepare audited financial statements and must have a similar policy, effective as of the beginning of the year, for financial reporting purposes. also an annual election is required
- taxpayers that do not prepare applicable audited financial statements are subject to a limit of $500 rather than $5,000
- property with a useful life of 12 months or less may also be deducted. this deduction also requires a comparable policy, as of the beginning of the year, for financial reporting purposes.
- an entity electing to take this deduction must also apply the de minimis safe harbor limitations to expenditures for repairs and maintenance.
under de minimis safe harbor rules how are deductible amounts considered?
from an all or nothing basis. if the cost of an item exceeds the limit, no portion of the cost is deductible under the safe harbor, and must be capitalized. an entity may not divide the cost of property into components in order to keep amounts within the limitations.
how are betterments, adaptation & restoration handled? BAR
their expenditures are required to be capitalized if the cost incurred result in a betterment to the property, or an adaptation of the property for a different use or a restoration of the property.
- if a taxpayers disposes of property in a circumstance where no gain or loss is recognized, the cost of removal is deducted
- otherwise the cost of removal of the property is capitalized to the property.
when can cost result in a betterment?
the expenditure must be used to correct a defect that existed prior to acquisition or occurred during production; must be intended to provide an addition to the property, such as by making it larger; or intended to cause an increase in usefulness of the property, such as increased capacity, productivity, or efficiency.