October 19, 2017 CAPITAL GAINS TAX PLANNING PART 1 - INTRODUCTION

Size: px
Start display at page:

Download "October 19, 2017 CAPITAL GAINS TAX PLANNING PART 1 - INTRODUCTION"

Transcription

1 BRUCE GIVNER OWEN D. KAYE KATHLEEN GIVNER NEDA BARKHORDAR LAW OFFICES SUITE WILSHIRE BOULEVARD LOS ANGELES, CALIFORNIA October 19, 2017 CAPITAL GAINS TAX PLANNING PART 1 - INTRODUCTION PHONE (310) (818) FAX (310) (818) Our Traditional Advice. 2. What Has Changed? Rates. Internal Revenue Code 7701(o). 3. Role Of The Professional Educate, Not Advocate Realistic Expectations. 4. Death Is A Capital Gains Tax Loophole. PART 2 INSTALLMENT SALES 5. Regular Installment Sale (With A Stranger). 6. Fixing An Installment Sales: IRC 453(e). 7. Installment Sale With An Unrelated Friendly Party. 8. The Use Of Partnerships. 9. Installment Sale With A Professional Third Party Deferred Sales Trust Monetized Installment Sale. PART 3 CHARITABLE 10. Charitable Remainder Uni-Trust. 11. Charitable LP.

2 Page 2 of 20 (o) Clarification of economic substance doctrine (1) Application of doctrine In the case of any transaction to which the economic substance doctrine is relevant, such transaction shall be treated as having economic substance only if (A) (B) the transaction changes in a meaningful way (apart from Federal income tax effects) the taxpayer s economic position, and the taxpayer has a substantial purpose (apart from Federal income tax effects) for entering into such transaction. (5) Definitions and special rules For purposes of this subsection (A) Economic substance doctrine The term economic substance doctrine means the common law doctrine under which tax benefits under subtitle A with respect to a transaction are not allowable if the transaction does not have economic substance or lacks a business purpose. (B) Exception for personal transactions of individuals In the case of an individual, paragraph (1) shall apply only to transactions entered into in connection with a trade or business or an activity engaged in for the production of income. (C) Determination of application of doctrine not affected The determination of whether the economic substance doctrine is relevant to a transaction shall be made in the same manner as if this subsection had never been enacted. (D) Transaction The term transaction includes a series of transactions. IRC 6662(i): (i) Increase in penalty in case of nondisclosed noneconomic substance transactions (1) In general In the case of any portion of an underpayment which is attributable to one or more nondisclosed noneconomic substance transactions, subsection (a) shall be applied with respect to such portion by substituting 40 percent for 20 percent. (2) Nondisclosed noneconomic substance transactions

3 Page 3 of 20 For purposes of this subsection, the term nondisclosed noneconomic substance transaction means any portion of a transaction described in subsection (b)(6) with respect to which the relevant facts affecting the tax treatment are not adequately disclosed in the return nor in a statement attached to the return. (3) Special rule for amended returns In no event shall any amendment or supplement to a return of tax be taken into account for purposes of this subsection if the amendment or supplement is filed after the earlier of the date the taxpayer is first contacted by the Secretary regarding the examination of the return or such other date as is specified by the Secretary. California R&T Code 19774: A "noneconomic substance transaction" includes: (A) The disallowance of any loss, deduction or credit, or addition to income attributable to a determination that the disallowance or addition is attributable to a transaction or arrangement that lacks economic substance including a transaction or arrangement in which an entity is disregarded as lacking economic substance. A transaction shall be treated as lacking economic substance if the taxpayer does not have a valid nontax California business purpose for entering into the transaction. (B) Any disallowance of claimed tax benefits by reason of a transaction lacking economic substance, within the meaning of 7701(o) of the Internal Revenue Code. 5. The Basics Which You Must Explain To Your Clients And Referral Sources 5.1. The Beauty Of An Installment Sale. stock Client 30 year interest only installment note Cash Buyer 5.2. Problems With An Installment Sale. Trust and Money Problems With Capital Gain Tax Planning Generally General Common Law Doctrines, e.g., Step Transaction, Assignment Of Income Big Bad Codified Economic Substance Doctrine. IRC 7701(o):

4 Page 4 of Role Of An Opinion Letter Two Big Client Controlled Facts Timing. Educating The Referral Sources What Is Being Sold? C stock vs. C corporation assets vs. S stock ( 338(h)(10) or not) vs. real estate vs. personal goodwill Fixing An Installment Sales: IRC 453(e) - Related Parties. 2 stock stock Client Complex Children s Trust Cash Buyer 30 year interest only note cash 1 Martin Ice Cream, 110 T.C. 189 (March 17, 1989); Howard v. U.S., 108 AFTR 2d (dentist - against the taxpayer); H&M, Inc., TC Memo (sole shareholder s goodwill wasn t a corporate asset taken into account on sale of business); Bross Trucking, Inc. v. Comm r., T.C. Memo (follows Martin Ice Cream); Estate of Franklin Z. Adell, T.C. Memo (approved personal goodwill of son in estate tax case!) (f) Definitions and special rules. For purposes of this section (1) Related person. the term related person means (A) a person whose stock would be attributed under 318(a) (other than (4) thereof) to the person first disposing of the property, or (B) a person who bears a relationship described in 267(b) to the person first disposing of the property. 318: (a) General rule. (1) Members of family. (A) In general. An individual shall be considered as owning the stock owned, directly or indirectly, by or for (i) his spouse (other than a spouse who is legally separated from the individual under a decree of divorce or separate maintenance), and (ii) his children, grandchildren, and parents. (B) Effect of adoption. For purposes of subparagraph (A)(ii), a legally adopted child of an individual shall be treated as a child of such individual by blood. 267(b) refers us to subsection (c)(4) for the definition of members of a family. That paragraph read as follows: (4) The family of an individual shall include only his brothers and sisters (whether by the whole or half blood), spouse, ancestors, and lineal descendants.

5 Page 5 of 20

6 Page 6 of 20

7 Page 7 of 20

8 Page 8 of 20

9 Page 9 of Selling To A Friendly, But Technically Unrelated Stranger. 8. The Use Of Partnerships FLPs (or LLCs): estate tax planning and creditor protection planning as part of that process /9/06 IRS Bogus Optional Basis Coordinated Issues Paper: Excerpts from Part 1 Attached. 9. Selling To A Professional Stranger Deferred Sales Trust. 3 Telos Capital s installment structure Monetized Installment Sale Transactions. Transaction 1: Client sells to Stan for $10,000, year interest only, unsecured installment note at 5.61% interest. Transaction 2: Stan sells to buyer for $10,000,000 cash. 3 They have a CPA or attorney with whom they have a relationship set up a trust for your client. The trust issues a 10 year interest-only installment note. The sales proceeds are invested with a money-manager of your client s choice. There is a 0.35% trustee fee and a 1% money management fee of which your client s money manager gets 70%. 4 The Buyer acquires the business or property owned by the Seller for a note. Telos Capital unconditionally guarantees the note payments to the Seller of interest and principal. That seems comparable to the former structured installment deals in which an installment buyer bought an annuity offered by an offshore subsidiary of Prudential. The IRS declined to endorse it and Prudential withdrew.

10 Page 10 of 20 Transaction 3: Client borrows $9,350,000 from unrelated lender for 30 years, interest only at 6% ($561,000,000) secured only by the note from Stan External Evidence. Chief Counsel Memorandum F (8/24/2012). 6 Office Max transaction (description attached) Advantage. Tax on $1,000,000 is 20% federal % state = 33.3% = $333,000. Net from Monetized Installment Sale: $935,000 what would have been left had Client sold ($667,000) = $268,000. The question is what will the $268,000 be worth in 30 years? It is from that source that the client will have to pay the $333,000 in tax. The following chart indicates the answer based on various interest rate assumptions. Interest Earned On The Funds Fund Left After Paying The Tax Deferral Advantage As % Of Tax 2% $ 485,445 $ 152, % 3% $ 650,506 $ 317, % 4% $ 869,231 $ 536, % 5% $1,158,281 $ 825, % 6% $1,539,256 $1,206, % 7% $2,040,084 $1,707, % 8% $2,696,792 $2,363, % 9% $3,555,738 $3,222, % 10% $4,676,440 $4,343,440 1,304.34% 5 One business lawyer passed on the transaction due to what he viewed as a bad boy clause. 6 Reprinted from

11 Page 11 of 20

12 Page 12 of 20

13 Page 13 of 20

14 Page 14 of 20

15 Page 15 of 20

16 Page 16 of 20

17 Page 17 of 20

18 Page 18 of 20

19 Page 19 of 20

20 Page 20 of 20

Capital Gains Tax Planning In A World Without Estate Tax

Capital Gains Tax Planning In A World Without Estate Tax BRUCE GIVNER ( bruce@givnerkaye.com) OWEN D. KAYE ( owen@givnerkaye.com) KATHLEEN GIVNER ( kathy@givnerkaye.com) NEDA BARKHORDAR ( neda@givnerkaye.com) JACQUELINE BURBANK ( jacqueline@givnerkaye.com) LAW

More information

Tax Planning Right Now Under Trump

Tax Planning Right Now Under Trump BRUCE GIVNER (bruce@givnerkaye.com) OWEN D. KAYE (owen@givnerkaye.com) KATHLEEN GIVNER (kathy@givnerkaye.com) NEDA BARKHORDAR (neda@givnerkaye.com) JACQUELINE BURBANK (jacqueline@givnerkaye.com) SUITE

More information

Internal Revenue Code Section 6662(j) Imposition of accuracy-related penalty on underpayments.

Internal Revenue Code Section 6662(j) Imposition of accuracy-related penalty on underpayments. Internal Revenue Code Section 6662(j) Imposition of accuracy-related penalty on underpayments. CLICK HERE to return to the home page (a) Imposition of penalty. If this section applies to any portion of

More information

26 USC Definitions and special rules

26 USC Definitions and special rules Search Cornell ABOUT LII / GET THE LAW / FIND A LAWYER / LEGAL ENCYCLOPEDIA / HELP OUT Follow 9,055 followers Like 11k USC Title 26 Subtitle A Chapter 6 Subchapter B Part II 1563 26 USC 1563 - Definitions

More information

TITLE 26 INTERNAL REVENUE CODE. specified in any of the paragraphs of subsection

TITLE 26 INTERNAL REVENUE CODE. specified in any of the paragraphs of subsection 266 TITLE 26 INTERNAL REVENUE CODE Page 922 section 2137(e) of Pub. L. 94 455, set out as a note under section 852 of this title. EFFECTIVE DATE OF 1964 AMENDMENT Pub. L. 88 272, title II, 216(b), Feb.

More information

26 USC NB: This unofficial compilation of the U.S. Code is current as of Jan. 7, 2011 (see

26 USC NB: This unofficial compilation of the U.S. Code is current as of Jan. 7, 2011 (see TITLE 26 - INTERNAL REVENUE CODE Subtitle A - Income Taxes CHAPTER 1 - NORMAL TAXES AND SURTAXES Subchapter S - Tax Treatment of S Corporations and Their Shareholders PART I - IN GENERAL 1361. S corporation

More information

In the case of taxable years beginning in: The dollar amount is: 1998 $1, $1, $2, or thereafter $2,500.

In the case of taxable years beginning in: The dollar amount is: 1998 $1, $1, $2, or thereafter $2,500. UNITED STATES CODE TITLE 26 - INTERNAL REVENUE CODE 26 USC SUBTITLE A - INCOME TAXES 26 USC CHAPTER 1 - NORMAL TAXES AND SURTAXES 26 USC CHAP. 1, SUBCHAP. B - COMPUTATION OF TAXABLE INCOME 26 USC PT. VII

More information

One Hundred Eleventh Congress of the United States of America

One Hundred Eleventh Congress of the United States of America H. R. 4872 One Hundred Eleventh Congress of the United States of America AT THE SECOND SESSION Begun and held at the City of Washington on Tuesday, the fifth day of January, two thousand and ten An Act

More information

Internal Revenue Code Section 223(c)(1)

Internal Revenue Code Section 223(c)(1) CLICK HERE to return to the home page Internal Revenue Code Section 223(c)(1) Health savings accounts. (a) Deduction allowed. In the case of an individual who is an eligible individual for any month during

More information

Internal Revenue Code Section 404

Internal Revenue Code Section 404 CLICK HERE to return to the home page Internal Revenue Code Section 404 Deduction for contributions of an employer to an employees' trust or annuity plan and compensation under a deferred-payment plan.

More information

Section 409A. Inclusion in Gross Income of Deferred Compensation under Nonqualified Deferred Compensation Plans

Section 409A. Inclusion in Gross Income of Deferred Compensation under Nonqualified Deferred Compensation Plans Code Section 409A Section 409A. Inclusion in Gross Income of Deferred Compensation under Nonqualified Deferred Compensation Plans (a) Rules relating to constructive receipt. (1) Plan failures. (A) Gross

More information

Internal Revenue Code Section 1400Z-2(d)(2)(A) Special rules for capital gains invested in opportunity zones

Internal Revenue Code Section 1400Z-2(d)(2)(A) Special rules for capital gains invested in opportunity zones CLICK HERE to return to the home page Internal Revenue Code Section 1400Z-2(d)(2)(A) Special rules for capital gains invested in opportunity zones (a) In general (1) Treatment of gains. In the case of

More information

36(b)(1)(A) IN GENERAL. -- Except as otherwise provided in this paragraph, the credit allowed under subsection (a) shall not exceed $7,500.

36(b)(1)(A) IN GENERAL. -- Except as otherwise provided in this paragraph, the credit allowed under subsection (a) shall not exceed $7,500. CODE SEC. 36. FIRST-TIME HOMEBUYER CREDIT. 36(a) ALLOWANCE OF CREDIT. -- In the case of an individual who is a first-time homebuyer of a principal residence in the United States during a taxable year,

More information

Legality of the Self-Directed IRA and Storage of Precious Metals

Legality of the Self-Directed IRA and Storage of Precious Metals DELIA LAW Ph 800.980.3398 Fx 619.330.3507 12707 High Bluff Drive Suite 200 San Diego, CA 92130 10800 Wilshire Boulevard Suite 1101 Los Angeles, CA 90024 www.deliataxattorneys.com www.losangeles-tax-attorneys.com

More information

Internal Revenue Code Section 25A(d) American Opportunity and Lifetime Learning Credits

Internal Revenue Code Section 25A(d) American Opportunity and Lifetime Learning Credits CLICK HERE to return to the home page Internal Revenue Code Section 25A(d) American Opportunity and Lifetime Learning Credits (a) Allowance of credit. In the case of an individual, there shall be allowed

More information

19 USC 1401a. NB: This unofficial compilation of the U.S. Code is current as of Jan. 4, 2012 (see

19 USC 1401a. NB: This unofficial compilation of the U.S. Code is current as of Jan. 4, 2012 (see TITLE 19 - CUSTOMS DUTIES CHAPTER 4 - TARIFF ACT OF 1930 SUBTITLE III - ADMINISTRATIVE PROVISIONS Part I - Definitions and National Customs Automation Program subpart a - definitions 1401a. Value (a) Generally

More information

Federal Estate and Gift Tax and Use of Applicable Exclusion Amount 3. Pennsylvania Inheritance Tax 5. Gifting Techniques 6

Federal Estate and Gift Tax and Use of Applicable Exclusion Amount 3. Pennsylvania Inheritance Tax 5. Gifting Techniques 6 Prepared by Howard Vigderman Last Updated August 8, 2016 Federal Estate and Gift Taxes, Pennsylvania Inheritances Taxes and Measures to Reduce Them 2 Even with the federal estate tax exemption at an historically

More information

Internal Revenue Code Section 469(h)(2) Passive activity losses and credits limited.

Internal Revenue Code Section 469(h)(2) Passive activity losses and credits limited. CLICK HERE to return to the home page Internal Revenue Code Section 469(h)(2) Passive activity losses and credits limited. (a) Disallowance. If for any taxable year the taxpayer is described in paragraph

More information

Ten Most Common Flaws In Estate Planning And How To Spot Them

Ten Most Common Flaws In Estate Planning And How To Spot Them Ten Most Common Flaws In Estate Planning And How To Spot Them Owen@GivnerKaye.com 1 What We Will Cover: There are 41 points divided into 7 categories. As we go through the various points and categories

More information

Employee Stock Ownership Plan Listing of Required Modifications and Information Package (ESOP LRM)

Employee Stock Ownership Plan Listing of Required Modifications and Information Package (ESOP LRM) Employee Stock Ownership Plan Listing of Required Modifications and Information Package (ESOP LRM) For use with Pre-approved Plans intending to satisfy the requirements of Code 4975(e)(7) Revenue Procedure

More information

Internal Revenue Code Section 72(t)

Internal Revenue Code Section 72(t) CLICK HERE to return to the home page Internal Revenue Code Section 72(t) Annuities; certain proceeds of endowment and life insurance contracts (t) 10-percent additional tax on early distributions from

More information

Internal Revenue Code Section 469(j)(8) Passive activity losses and credits limited

Internal Revenue Code Section 469(j)(8) Passive activity losses and credits limited Internal Revenue Code Section 469(j)(8) Passive activity losses and credits limited CLICK HERE to return to the home page (a) Disallowance. (1) In general. If for any taxable year the taxpayer is described

More information

Business and Personal Income Tax Planning Under The New Tax Law

Business and Personal Income Tax Planning Under The New Tax Law BRUCE GIVNER ( bruce@givnerkaye.com) OWEN D. KAYE ( owen@givnerkaye.com) KATHLEEN GIVNER ( kathy@givnerkaye.com) NEDA BARKHORDAR ( neda@givnerkaye.com) JACQUELINE BURBANK ( Jacqueline@GivnerKaye.com) SUITE

More information

Revenue Chapter ALABAMA DEPARTMENT OF REVENUE ADMINISTRATIVE CODE CHAPTER EXEMPTIONS GENERALLY TABLE OF CONTENTS

Revenue Chapter ALABAMA DEPARTMENT OF REVENUE ADMINISTRATIVE CODE CHAPTER EXEMPTIONS GENERALLY TABLE OF CONTENTS Revenue Chapter 810 3 19 ALABAMA DEPARTMENT OF REVENUE ADMINISTRATIVE CODE CHAPTER 810 3 19 EXEMPTIONS GENERALLY TABLE OF CONTENTS 810 3 19.01 Exempt Retirement Allowances 810 3 19.02 Personal Exemptions

More information

Installment Sales. Contents. For use in preparing 2012 Returns. Publication 537 Cat. No V. Future Developments. Reminder.

Installment Sales. Contents. For use in preparing 2012 Returns. Publication 537 Cat. No V. Future Developments. Reminder. Department of the Treasury Internal Revenue Service Publication 537 Cat. No. 15067V Installment Sales For use in preparing 2012 Returns Contents Future Developments... 1 Reminder... 1 Introduction... 1

More information

IRS DEFINITION OF DEPENDENT SECTION 152

IRS DEFINITION OF DEPENDENT SECTION 152 IRS DEFINITION OF DEPENDENT SECTION 152 Sec. 152. Dependent Defined 152(a) In General For purposes of this subtitle, the term dependent means 152(a)(1) a qualifying child, or 152(a)(2) a qualifying relative.

More information

Internal Revenue Code Section 408(d)(4)

Internal Revenue Code Section 408(d)(4) Internal Revenue Code Section 408(d)(4) Individual retirement accounts. CLICK HERE to return to the home page (d) Tax treatment of distributions. (1) In general. Except as otherwise provided in this subsection,

More information

U.S. INTERNAL REVENUE CODE SECTION 1031 TAX DEFERRED LIKE KIND EXCHANGES. This outline has been modified to reflect the recent changes in the tax law.

U.S. INTERNAL REVENUE CODE SECTION 1031 TAX DEFERRED LIKE KIND EXCHANGES. This outline has been modified to reflect the recent changes in the tax law. U.S. INTERNAL REVENUE CODE SECTION 1031 TAX DEFERRED LIKE KIND EXCHANGES This outline has been modified to reflect the recent changes in the tax law. I. SECTION 1031 LIKE KIND EXCHANGE A. What is a 1031

More information

Acc. 433, Chapter Outline for use with Prentice Hall's Federal Taxation Corporations Richard B. Malamud, last updates, in part, November, 2011

Acc. 433, Chapter Outline for use with Prentice Hall's Federal Taxation Corporations Richard B. Malamud, last updates, in part, November, 2011 Acc. 433, Chapter Outline for use with Prentice Hall's Federal Taxation Corporations Richard B. Malamud, last updates, in part, November, 2011 1) Chapter 1 was not assigned! 2) Formation and Capital Structure

More information

Internal Revenue Code Section 408A(d)(3)(C) Roth IRAs

Internal Revenue Code Section 408A(d)(3)(C) Roth IRAs Note: This document has been updated to reflect amendments by the TCJA, Pub. L. No. 115-97. CLICK HERE to return to the home page Internal Revenue Code Section 408A(d)(3)(C) Roth IRAs (a) General rule.

More information

Wealth Transfer. Shark Fin CHARITABLE LEAD ANNUITY TRUST

Wealth Transfer. Shark Fin CHARITABLE LEAD ANNUITY TRUST Wealth Transfer Shark Fin CHARITABLE LEAD ANNUITY TRUST 2 SHARK FIN: CHARITABLE LEAD ANNUITY TRUST Shark Fin CLAT EXECUTIVE SUMMARY A Charitable Lead Annuity Trust (CLAT) pays a fixed amount of the trust

More information

How To Coordinate Charitable Contribution Planning Opportunities with Business Succession Planning: The Charitable Lead Trust

How To Coordinate Charitable Contribution Planning Opportunities with Business Succession Planning: The Charitable Lead Trust How To Coordinate Charitable Contribution Planning Opportunities with Business Succession Planning: The Charitable Lead Trust Michael V. Bourland Shannon G. Guthrie All section references are to the Internal

More information

Internal Revenue Code Section 2056 Bequests, etc., to surviving spouse.

Internal Revenue Code Section 2056 Bequests, etc., to surviving spouse. Internal Revenue Code Section 2056 Bequests, etc., to surviving spouse. CLICK HERE to return to the home page (a) Allowance of marital deduction. For purposes of the tax imposed by section 2001 [IRC Sec.

More information

Internal Revenue Code Section 664(d)(1) Charitable remainder trusts.

Internal Revenue Code Section 664(d)(1) Charitable remainder trusts. Internal Revenue Code Section 664(d)(1) Charitable remainder trusts. CLICK HERE to return to the home page (a) General rule. Notwithstanding any other provision of this subchapter, the provisions of this

More information

May 16, Re: Recommendations for Priority Guidance Plan Pursuant to Notice

May 16, Re: Recommendations for Priority Guidance Plan Pursuant to Notice Steven T. Miller Willard Office Building, Suite 300 1455 Pennsylvania Avenue Washington, D.C. 20004 E-mail: Steven.Miller@alliantgroup.com 202-888-7006 May 16, 2016 VIA ELECTRONIC DELIVERY & FIRST-CLASS

More information

Internal Revenue Code Section 1291 Interest on tax deferral

Internal Revenue Code Section 1291 Interest on tax deferral Internal Revenue Code Section 1291 Interest on tax deferral (a) Treatment of distributions and stock dispositions. CLICK HERE to return to the home page (1) Distributions. If a United States person receives

More information

Internal Revenue Code Section 1296(e) Election of mark to market for marketable stock

Internal Revenue Code Section 1296(e) Election of mark to market for marketable stock CLICK HERE to return to the home page Internal Revenue Code Section 1296(e) Election of mark to market for marketable stock (a) General rule. In the case of marketable stock in a passive foreign investment

More information

S Corporation Planning

S Corporation Planning S Corporation Planning Details Written by Martin M. Shenkman, CPA, MBA, PFS, AEP, JD The income tax is the new estate tax. With a federal estate tax exemption at over $5 million and increasing by an inflation

More information

Internal Revenue Code Section 6013(d)(3) Joint returns of income tax by husband and wife.

Internal Revenue Code Section 6013(d)(3) Joint returns of income tax by husband and wife. Internal Revenue Code Section 6013(d)(3) Joint returns of income tax by husband and wife. CLICK HERE to return to the home page (a) Joint returns. A husband and wife may make a single return jointly of

More information

.02 Apportionment of the Annuity Amount in the Discretion of the Trustee.

.02 Apportionment of the Annuity Amount in the Discretion of the Trustee. 371 amount for the life or lives of an individual or individuals. However, only one or more of the following individuals may be used as measuring lives: the decedent s spouse and an individual who, with

More information

Capital Gains and Losses

Capital Gains and Losses Capital Gains and Losses Table of Contents Chapter 1: Basis Of Property... 2 I. Introduction... 2 II. Cost Basis... 2 III. Adjusted Basis... 4 IV. Basis Other Than Cost... 5 Chapter 2: Sale Of Property...

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features:

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Presenting a live 90-minute webinar with interactive Q&A Goodwill in Corporate Asset Sales: Tax Planning Opportunities Distinguishing Between Personal and Corporate Goodwill, Navigating Allocation and

More information

Internal Revenue Code Section 529(c)(2)(B) Qualified tuition programs

Internal Revenue Code Section 529(c)(2)(B) Qualified tuition programs Internal Revenue Code Section 529(c)(2)(B) Qualified tuition programs CLICK HERE to return to the home page (a) General rule. A qualified tuition program shall be exempt from taxation under this subtitle.

More information

SAMPLE FORM FOR CERTIFICATION OF TREATMENT OF MERGER CONSIDERATION

SAMPLE FORM FOR CERTIFICATION OF TREATMENT OF MERGER CONSIDERATION SAMPLE FORM FOR CERTIFICATION OF TREATMENT OF MERGER CONSIDERATION IMPORTANT NOTICE: THIS CERTIFICATION RELATES TO THE EXCHANGE OF SHARES IN MEDTRONIC, INC. ( MEDTRONIC ) IN THE MERGER OF AVIATION MERGER

More information

( CONFLICT OF INTEREST POLICY

( CONFLICT OF INTEREST POLICY ( CONFLICT OF INTEREST POLICY OF THE GRAND ISLAND MEMORIAL LIBRARY ARTICLE I Purpose The purpose of this Conflict of Interest Policy is to protect the Grand Island Memorial Library when it is contemplating

More information

Charitable Giving for Entrepreneurs after TCJA

Charitable Giving for Entrepreneurs after TCJA Charitable Giving for Entrepreneurs after TCJA Brian T. Whitlock, CPA, JD, LLM THE GLOBAL FOODBANKING NETWORK Agenda Overview of charitable giving pre-tcja Review TCJA Changes Impacting Charitable Giving

More information

Conflict of Interest Policy

Conflict of Interest Policy Conflict of Interest Policy Article I Purpose The purpose of the conflict of interest policy is to protect this Not-for-Profit Corporation s (Organization) interest when it is contemplating entering into

More information

THE AMERICAN COLLEGE OF TRUST AND ESTATE COUNSEL (ACTEC) COMMENTS ON PROPOSED REGULATIONS UNDER SECTION 2704 [REG ] SUMMARY

THE AMERICAN COLLEGE OF TRUST AND ESTATE COUNSEL (ACTEC) COMMENTS ON PROPOSED REGULATIONS UNDER SECTION 2704 [REG ] SUMMARY THE AMERICAN COLLEGE OF TRUST AND ESTATE COUNSEL (ACTEC) COMMENTS ON PROPOSED REGULATIONS UNDER SECTION 2704 [REG-163113-02] SUMMARY These comments of The American College of Trust and Estate Counsel (ACTEC)

More information

Internal Revenue Code Section 1(h) Tax imposed.

Internal Revenue Code Section 1(h) Tax imposed. Internal Revenue Code Section 1(h) Tax imposed.... (h) Maximum capital gains rate. CLICK HERE to return to the home page (1) In general. If a taxpayer has a net capital gain for any taxable year, the tax

More information

SUPPLEMENT A. IRC 1014(f): Basis Must Be Consistent With Estate Tax Return

SUPPLEMENT A. IRC 1014(f): Basis Must Be Consistent With Estate Tax Return SUPPLEMENT A IRC 1014(f): Basis Must Be Consistent With Estate Tax Return For purposes of this section (1) In General. The basis of any property to which subsection (a) [of IRC 1014] applies shall not

More information

The New Consistent Basis and Value Reporting Rules

The New Consistent Basis and Value Reporting Rules The New Consistent Basis and Value Reporting Rules Jennifer R. Pierce INTRODUCTION The Surface Transportation and Veterans Health Care Choice Improvement Act of 2015 1014(f) ( basis consistency requirement)

More information

PENSION PROTECTION ACT OF 2006

PENSION PROTECTION ACT OF 2006 PENSION PROTECTION ACT OF 2006 VerDate 14-DEC-2004 12:50 Aug 31, 2006 Jkt 049139 PO 00280 Frm 00001 Fmt 6579 Sfmt 6579 E:\PUBLAW\PUBL280.109 APPS06 PsN: PUBL280 120 STAT. 783 Sec. 902. Increasing participation

More information

WASHINGTON AND LEE UNIVERSITY

WASHINGTON AND LEE UNIVERSITY WASHINGTON AND LEE UNIVERSITY Disclosure Form: Family and Business Relationships Between and Among Members of the Board of Trustees, Officers, Covered Employees and Washington and Lee University (for Compliance

More information

DIRECTION OF INVESTMENT PRIVATE PLACEMENT

DIRECTION OF INVESTMENT PRIVATE PLACEMENT DIRECTION OF INVESTMENT PRIVATE PLACEMENT Fax: (208) 376-4567 Note: All investment paperwork must be titled in the name of your account. For example: Mountain West IRA, Inc. FBO (Account Holder s Name)

More information

Instructions for Form 5405 (Rev. March 2011) First-Time Homebuyer Credit and Repayment of the Credit For use with Form 5405 (Rev.

Instructions for Form 5405 (Rev. March 2011) First-Time Homebuyer Credit and Repayment of the Credit For use with Form 5405 (Rev. Instructions for Form 5405 (Rev. March 2011) First-Time Homebuyer Credit and Repayment of the Credit For use with Form 5405 (Rev. December 2010) Department of the Treasury Internal Revenue Service Section

More information

04 - Fourth and Eleventh Circuits Find CARDs Transaction Lacked Economic Substance

04 - Fourth and Eleventh Circuits Find CARDs Transaction Lacked Economic Substance 04 - Fourth and Eleventh Circuits Find CARDs Transaction Lacked Economic Substance Curtis Investment Company, LLC, v. Comm., (CA11 12/6/2018) 122 AFTR 2d 2018-5485; Baxter, et ux v. Comm., (CA4, 12/7/2018)

More information

S Corporations Corporations that have elected to be taxed as passthrough entities under subchapter S of the IRC

S Corporations Corporations that have elected to be taxed as passthrough entities under subchapter S of the IRC For non-cash donations of $5,000 or greater, the donor must obtain a qualified appraisal by a qualified appraiser as described under IRC 170(f)(11)(E). These guidelines will be considered satisfied if

More information

THE TAXATION OF INDIVIDUALS AND FAMILIES

THE TAXATION OF INDIVIDUALS AND FAMILIES THE TAXATION OF INDIVIDUALS AND FAMILIES Scheduled for a Public Hearing Before the TAX POLICY SUBCOMMITTEE of the HOUSE COMMITTEE ON WAYS AND MEANS on July 19, 2017 Prepared by the Staff of the JOINT COMMITTEE

More information

INFORMATION ON IMPLEMENTATION AND ADMINISTRATION OF THE AGREEMENT. Addendum. Legislation of the United States

INFORMATION ON IMPLEMENTATION AND ADMINISTRATION OF THE AGREEMENT. Addendum. Legislation of the United States GENERAL AGREEMENT ON TARIFFS AND TRADE RESTRICTED SM1^1*981 Special Distribution Committee on Customs Valuation INFORMATION ON IMPLEMENTATION AND ADMINISTRATION OF THE AGREEMENT Addendum Legislation of

More information

Question: What are the main employee benefits and tax issues to be aware of for more-than-2% shareholders of an S corporation?

Question: What are the main employee benefits and tax issues to be aware of for more-than-2% shareholders of an S corporation? Question: What are the main employee benefits and tax issues to be aware of for more-than-2% shareholders of an S corporation? Compliance Team Response: Section 125 Cafeteria Plan More-than-2% shareholders

More information

TITLE VIII SPENDING REDUCTIONS AND APPROPRIATE REVENUE RAIS- ERS FOR NEW TAX RELIEF POLICY

TITLE VIII SPENDING REDUCTIONS AND APPROPRIATE REVENUE RAIS- ERS FOR NEW TAX RELIEF POLICY H. R. 1424 165 (2) QUALIFIED SECTION 179 DISASTER ASSISTANCE PROP- ERTY. For purposes of this subsection, the term qualified section 179 disaster assistance property means section 179 property (as defined

More information

RETIREMENT TAXATION UPDATE

RETIREMENT TAXATION UPDATE RETIREMENT TAXATION UPDATE UNDERSTANDING EMPLOYEE STOCK OWNERSHIP PLANS Marc S. Schechter Butterfield Schechter LLP SCHECHTER LLP ATTORNEYS & COUNSELORS 10616 Scripps Summit Court, Suite 200 San Diego,

More information

2011 LIMITED LIABILTY COMPANY (LLC) & PARTNERSHIP FEDERAL TAX UPDATE

2011 LIMITED LIABILTY COMPANY (LLC) & PARTNERSHIP FEDERAL TAX UPDATE 2011 LIMITED LIABILTY COMPANY (LLC) & PARTNERSHIP FEDERAL TAX UPDATE Gregory L. Gandy, CPA Tax Partner, BiggsKofford 630 Southpointe Court, Suite 200 Colorado Springs, CO 80906 719-579-9090 ggandy@biggskofford.com

More information

Tax Practice and Accounting News Practice Articles Tax Notes, Apr. 11, 2005, p Tax Notes 211 (Apr. 11, 2005)

Tax Practice and Accounting News Practice Articles Tax Notes, Apr. 11, 2005, p Tax Notes 211 (Apr. 11, 2005) Trading on Interests in Trusts Holding Unrealized IRD By Michael J. Jones Tax Practice and Accounting News Practice Articles Tax Notes, Apr. 11, 2005, p. 211 107 Tax Notes 211 (Apr. 11, 2005) Michael J.

More information

Internal Revenue Code Section 170(f)(12)(E) Charitable, etc., contributions and gifts.

Internal Revenue Code Section 170(f)(12)(E) Charitable, etc., contributions and gifts. Internal Revenue Code Section 170(f)(12)(E) Charitable, etc., contributions and gifts.... CLICK HERE to return to the home page (f) Disallowance of deduction in certain cases and special rules. (1) In

More information

Internal Revenue Code Section 408(p)(2)(A) Individual retirement accounts.

Internal Revenue Code Section 408(p)(2)(A) Individual retirement accounts. Internal Revenue Code Section 408(p)(2)(A) Individual retirement accounts. CLICK HERE to return to the home page (p) Simple retirement accounts. (1) In general. For purposes of this title, the term "simple

More information

Internal Revenue Code Section 179(e)(2) Election to expense certain depreciable business assets.

Internal Revenue Code Section 179(e)(2) Election to expense certain depreciable business assets. Note: This document has been updated to reflect amendments by the TCJA, Pub. L. No. 115-97. CLICK HERE to return to the home page Internal Revenue Code Section 179(e)(2) Election to expense certain depreciable

More information

Avoiding Pitfalls in Designing, Implementing and Operating a Family Entity

Avoiding Pitfalls in Designing, Implementing and Operating a Family Entity Avoiding Pitfalls in Designing, Implementing and Operating a Family Entity 57 th Annual Estate Planning Seminar Seattle, Washington November 2, 2012 T. Randall Grove 805 Broadway Street T: (360) 816-2477

More information

What Lawyers Need To Know about Distinguishing Personal Goodwill from Entity Goodwill in the Closely Held Company Valuation

What Lawyers Need To Know about Distinguishing Personal Goodwill from Entity Goodwill in the Closely Held Company Valuation What Lawyers Need To Know about Distinguishing Personal Goodwill from Entity Goodwill in the Closely Held Company Valuation Robert F. Reilly CPA Robert F. Reilly is a managing director of Willamette Management

More information

Workshop 9 Maximum Deductions

Workshop 9 Maximum Deductions Workshop 9 Maximum Deductions Lauren Okum, MSPA Kevin J. Donovan, CPA, MSPA DC Plans Elective Deferrals PLR 201229012 an employee who is treated as benefitting (for 410(b) purposes) under a section 401(k)

More information

Section 199A Common Control and Aggregation - Determinations, Computations, and Disclosures. February 13, 2019

Section 199A Common Control and Aggregation - Determinations, Computations, and Disclosures. February 13, 2019 Section 199A Common Control and Aggregation - Determinations, Computations, and Disclosures February 13, 2019 Contact Information Kristine Tidgren ktidgren@iastate.edu www.calt.iastate.edu @CALT_IowaState

More information

Accounting Methods: 174 Options for Federal Income Tax Reporting

Accounting Methods: 174 Options for Federal Income Tax Reporting Accounting Methods: 174 Options for Federal Income Tax Reporting Edward K Zollars Phoenix, Arizona Nichols Patrick CPE, Inc. ed@tzlcpas.com 2 1 Accounting Methods BACKGROUND 3 446(e) (e) Requirement respecting

More information

Closely Held. Entities Transaction. If you have questions, please or call us at: or

Closely Held. Entities Transaction. If you have questions, please  or call us at: or Closely Held Entities Transaction How-To Guide If you have questions, please email or call us at: info@ndira.com, 303-546-7930 or 877-742-1270. The Investment Process Timeline Open SDIRA 2 Days Prepare

More information

GLOSSARY. 3) The two persons are each a director, trustee, officer, or greater than 10% owner in the same business or investment entity.

GLOSSARY. 3) The two persons are each a director, trustee, officer, or greater than 10% owner in the same business or investment entity. GLOSSARY Business relationships between two persons include the following: 1) One person is employed by the other in a sole proprietorship or by an organization with which the other is associated as a

More information

CODIFICATION OF THE ECONOMIC SUBSTANCE DOCTRINE. John F. Robertson Arkansas State University (870)

CODIFICATION OF THE ECONOMIC SUBSTANCE DOCTRINE. John F. Robertson Arkansas State University (870) CODIFICATION OF THE ECONOMIC SUBSTANCE DOCTRINE John F. Robertson Arkansas State University jfrobert@astate.edu (870) 972-3038 Tina Quinn Arkansas State University tquinn@astate.edu (870) 972-3038 Rebecca

More information

SAMPLE FORM FOR CERTIFICATION OF TREATMENT OF CASH PORTION OF SCHEME CONSIDERATION

SAMPLE FORM FOR CERTIFICATION OF TREATMENT OF CASH PORTION OF SCHEME CONSIDERATION SAMPLE FORM FOR CERTIFICATION OF TREATMENT OF CASH PORTION OF SCHEME CONSIDERATION IMPORTANT NOTICE: THIS CERTIFICATION RELATES TO THE EXCHANGE OF SHARES IN COVIDIEN PLC ( COVIDIEN ) IN THE SCHEME OF ARRANGEMENT.

More information

If for any taxable year the taxpayer is described in paragraph (2), neither-- (A) the passive activity loss, nor (B) the passive activity credit,

If for any taxable year the taxpayer is described in paragraph (2), neither-- (A) the passive activity loss, nor (B) the passive activity credit, From the U.S. Code Online via GPO Access [wais.access.gpo.gov] [Laws in effect as of January 3, 2006] [Document affected by Public Law 7 Section (5)] [Document affected by Public Law 7] [Document affected

More information

Capital Gain or Loss: Why It s Not Always Simple

Capital Gain or Loss: Why It s Not Always Simple Capital Gain or Loss: Why It s Not Always Simple 61 st MNCPA Tax Conference Edward K. Zollars, CPA www.cperesources.com ed@tzlcpas.com Capital Gain Basics Capital Gain or Loss: Why It s Not Always Simple

More information

(B) an amount equal to the compensation includible in the individual's gross income for such taxable year.

(B) an amount equal to the compensation includible in the individual's gross income for such taxable year. CLICK HERE to return to the home page Internal Revenue Code Section 219(g) Retirement Savings (a) Allowance of deduction. In the case of an individual, there shall be allowed as a deduction an amount equal

More information

HOW ESTATE & ASSET PROTECTION CAN SAVE MILLIONS

HOW ESTATE & ASSET PROTECTION CAN SAVE MILLIONS HOW ESTATE & ASSET PROTECTION CAN SAVE MILLIONS HOW ESTATE & ASSET PROTECTION CAN SAVE MILLIONS You should consider creating an Intentionally Defective Irrevocable Trust ( IDIT ) and gifting assets to

More information

Statutory Scheme of Final Disposition Authority; 2011 Amendments

Statutory Scheme of Final Disposition Authority; 2011 Amendments INDIANA FUNERAL DIRECTORS ASSOCIATION 2011 District Meetings Disclaimer: It is always recommended that counsel be consulted regarding any individual or business planning decision. The information and/or

More information

Related-Party Provisions Prevent Deduction by S Corp Shareholders

Related-Party Provisions Prevent Deduction by S Corp Shareholders Related-Party Provisions Prevent Deduction by S Corp Shareholders Annette M. Ahlers ahlersa@pepperlaw.com Many routine transactions occur between related parties, including the payment or accrual of interest

More information

Chapter Money Education 13-1

Chapter Money Education 13-1 Chapter 13 Nontaxable transaction Realized gain/loss not currently recognized Recognition is postponed to a future date Basis, potential depreciation recapture, and holding period carry over Tax-free transaction

More information

Earned Income Credit i

Earned Income Credit i Earned Income Credit i ALL RIGHTS RESERVED. NO PART OF THIS COURSE MAY BE REPRODUCED IN ANY FORM OR BY ANY MEANS WITHOUT THE WRITTEN PERMISSION OF THE COPYRIGHT HOLDER. All materials relating to this course

More information

INDIVIDUAL RETIREMENT ARRANGEMENTS

INDIVIDUAL RETIREMENT ARRANGEMENTS Insights on... WEALTH PLANNING INDIVIDUAL RETIREMENT ARRANGEMENTS Maximizing the Benefits and Avoiding the Pitfalls of IRAs Mairav Rothstein Senior Tax Counsel Wealth Advisory Services April 2017 Saving

More information

IRS Form 990: Who Sees it Besides the IRS?

IRS Form 990: Who Sees it Besides the IRS? IRS Form 990: Who Sees it Besides the IRS? State Tax Authorities. Attorney General. Public Inspection. www.guidestar.org Newspapers and Media. Donors. Anyone! 2 Purpose of New IRS Form 990 Enhance Transparency

More information

Internal Revenue Code Section 1 Tax imposed

Internal Revenue Code Section 1 Tax imposed CLICK HERE to return to the home page Internal Revenue Code Section 1 Tax imposed (a) Married individuals filing joint returns and surviving spouses. There is hereby imposed on the taxable income of- (1)

More information

Liquidating Family Partnerships: Avoiding Income and Gift Tax. By Carol A. Cantrell Cantrell & Cantrell, PLLC

Liquidating Family Partnerships: Avoiding Income and Gift Tax. By Carol A. Cantrell Cantrell & Cantrell, PLLC 1 Liquidating Family Partnerships: Avoiding Income and Gift Tax By Carol A. Cantrell Cantrell & Cantrell, PLLC 713-333-0555 ccantrell@cctaxlaw.com Why Liquidate a Partner s Interest? The partnership no

More information

FAMILY LIMITED PARTNERSHIPS

FAMILY LIMITED PARTNERSHIPS FAMILY LIMITED PARTNERSHIPS William C. Staley ATTORNEY www.staleylaw.com (818) 936-3490 Foothill Chapter SOCIETY OF CALIFORNIA ACCOUNTANTS Arcadia October 22, 2008 15370.doc 031709:1856 FAMILY LIMITED

More information

Chapter 02 - Working with the Tax Law

Chapter 02 - Working with the Tax Law 1. Rules of tax law do not include Revenue Rulings and Revenue Procedures. Rules of tax law do include Treasury Department pronouncements. 2. A tax professional need not worry about the relative weight

More information

Ch. 14 Corporate Tax Anti-avoidance Rules

Ch. 14 Corporate Tax Anti-avoidance Rules Ch. 14 Corporate Tax Anti-avoidance Rules In the U.S. corporate income tax context U.S. Treasury Department has concerns about: 1) Avoidance of the double tax on corporate/shareholder taxation. 2) Avoiding

More information

TITLE 26 INTERNAL REVENUE CODE

TITLE 26 INTERNAL REVENUE CODE 1256 TITLE 26 INTERNAL REVENUE CODE Page 2222 1988 Subsec. (b)(2). Pub. L. 100 647 amended Pub. L. 99 514, 511(d)(2)(A), see 1986 Amendment note below. 1986 Subsec. (b)(2). Pub. L. 99 514, 511(d)(2)(A),

More information

PUBLIC EMPLOYEES (CONTRIBUTORY RETIREMENT SCHEME) (NEW MEMBERS) (JERSEY) REGULATIONS 1989

PUBLIC EMPLOYEES (CONTRIBUTORY RETIREMENT SCHEME) (NEW MEMBERS) (JERSEY) REGULATIONS 1989 PUBLIC EMPLOYEES (CONTRIBUTORY RETIREMENT SCHEME) (NEW MEMBERS) (JERSEY) REGULATIONS 1989 Revised Edition Showing the law as at 1 January 2018 This is a revised edition of the law Public Employees (Contributory

More information

Internal Revenue Code Section 1022 (REPEALED) Treatment of property acquired from a decedent dying after December 31, 2009.

Internal Revenue Code Section 1022 (REPEALED) Treatment of property acquired from a decedent dying after December 31, 2009. CLICK HERE to return to the home page Internal Revenue Code Section 1022 (REPEALED) Treatment of property acquired from a decedent dying after December 31, 2009. (a) In general. Except as otherwise provided

More information

Internal Revenue Code Section 25A(f)(1)(C) Hope and Lifetime Learning Credits

Internal Revenue Code Section 25A(f)(1)(C) Hope and Lifetime Learning Credits Internal Revenue Code Section 25A(f)(1)(C) Hope and Lifetime Learning Credits CLICK HERE to return to the home page (a) Allowance of credit. In the case of an individual, there shall be allowed as a credit

More information

IRS Issues Guidance on Discharging Estate Tax Liens

IRS Issues Guidance on Discharging Estate Tax Liens washburnlaw.edu/waltr Article 2017-005 April 27, 2017 IRS Issues Guidance on Discharging Estate Tax Liens Roger A. McEowen Kansas Farm Bureau Professor of Agricultural Law and Taxation Washburn University

More information

26 USC 643. NB: This unofficial compilation of the U.S. Code is current as of Jan. 7, 2011 (see

26 USC 643. NB: This unofficial compilation of the U.S. Code is current as of Jan. 7, 2011 (see TITLE 26 - INTERNAL REVENUE CODE Subtitle A - Income Taxes CHAPTER 1 - NORMAL TAXES AND SURTAXES Subchapter J - Estates, Trusts, Beneficiaries, and Decedents PART I - ESTATES, TRUSTS, AND BENEFICIARIES

More information

Overview of the IRS Controlled Group Rules and How They May Apply to YOUR Company

Overview of the IRS Controlled Group Rules and How They May Apply to YOUR Company Overview of the IRS Controlled Group Rules and How They May Apply to YOUR Company Controlled Group Rules: The Internal Revenue Code (the Code ) includes a series of rules for controlled groups of corporations.

More information

S. 312 IN THE SENATE OF THE UNITED STATES

S. 312 IN THE SENATE OF THE UNITED STATES II 1TH CONGRESS 1ST SESSION S. 1 To amend the Internal Revenue Code of 1 to allow a refundable credit against income tax for the purchase of a principal residence by a firsttime homebuyer. IN THE SENATE

More information

Internal Revenue Code Section 179(b)(6) Election to expense certain depreciable business assets

Internal Revenue Code Section 179(b)(6) Election to expense certain depreciable business assets Internal Revenue Code Section 179(b)(6) Election to expense certain depreciable business assets CLICK HERE to return to the home page (a) Treatment as expenses. A taxpayer may elect to treat the cost of

More information