Form 8903: Domestic Production Activities Deduction for Pass-Thrus and Other Business Entities

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Form 8903: Domestic Production Activities Deduction for Pass-Thrus and Other Business Entities Mastering Complex Determinations, Calculations and Reporting Challenges for the DPAD WEDNESDAY, FEBRUARY 25, 2015, 1:00-2:50 pm Eastern IMPORTANT INFORMATION This program is approved for 2 CPE credit hours. To earn credit you must: Participate in the program on your own computer connection (no sharing) if you need to register additional people, please call customer service at 1-800-926-7926 x10 (or 404-881-1141 x10). Strafford accepts American Express, Visa, MasterCard, Discover. Listen on-line via your computer speakers. Record verification codes presented throughout the seminar. If you have not printed out the Official Record of Attendance, please print it now. (see Handouts tab in Conference Materials box on left-hand side of your computer screen). To earn Continuing Education credits, you must write down the verification codes in the corresponding spaces found on the Official Record of Attendance form. Complete and submit the Official Record of Attendance for Continuing Education Credits, which is available on the program page along with the presentation materials. Instructions on how to return it are included on the form. To earn full credit, you must remain connected for the entire program. WHOM TO CONTACT For Additional Registrations: -Call Strafford Customer Service 1-800-926-7926 x10 (or 404-881-1141 x10) For Assistance During the Program: -On the web, use the chat box at the bottom left of the screen If you get disconnected during the program, you can simply log in using your original instructions and PIN.

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Form 8903: Domestic Production Activities Deduction for Pass-Thrus and Other Business Entities Feb. 25, 2015 John Manning, Profit Point Tax Technologies jmanning@profitpointtax.com Dan Steele, Profit Point Tax Technologies dsteele@profitpointtax.com

Notice ANY TAX ADVICE IN THIS COMMUNICATION IS NOT INTENDED OR WRITTEN BY THE SPEAKERS FIRMS TO BE USED, AND CANNOT BE USED, BY A CLIENT OR ANY OTHER PERSON OR ENTITY FOR THE PURPOSE OF (i) AVOIDING PENALTIES THAT MAY BE IMPOSED ON ANY TAXPAYER OR (ii) PROMOTING, MARKETING OR RECOMMENDING TO ANOTHER PARTY ANY MATTERS ADDRESSED HEREIN. You (and your employees, representatives, or agents) may disclose to any and all persons, without limitation, the tax treatment or tax structure, or both, of any transaction described in the associated materials we provide to you, including, but not limited to, any tax opinions, memoranda, or other tax analyses contained in those materials. The information contained herein is of a general nature and based on authorities that are subject to change. Applicability of the information to specific situations should be determined through consultation with your tax adviser. 5

Form 8903: Domestic Production Activities Deduction for Pass-Thrus and Other Business Entities February 25, 2015

A Brief Commercial Strafford Publications Profit Point Tax Technologies The DPAD Group LLP John Manning Dan Steele Domestic Production Activities Deduction 7

Basic 199 Mechanics And Terminology Domestic Production Gross Receipts (DPGR/Qualified Revenue) Non-DPGR (Non-Qualified Revenue) Cost of Goods Sold (CGS) Below-the-Line or Section 861 Expenses Qualified Production Activities Income (QPAI) Taxable Income (TI) QPAI (or TI) X 9% (or 6%) DPAD Capped At 50% Of Properly Allocable W-2 Wages Domestic Production Activities Deduction 8

Section 199 Initial Observations Observations From Significant Number Of Fortune 500 Projects Process-Driven DPAD Results 199 Regulations And IRS Pronouncements A Significant Volume Of Authority Application Of Section 861 A Critical Part Of DPAD Calculation A Surprising Number Of Taxpayer-Specific Issues More Complexity And Opportunity Than Meets The Eye Complexity/Opportunity/EPS And Cash Domestic Production Activities Deduction 9

Revenue Classification -- DPGR Most Taxpayers Say We have made reasonable assumptions about the revenue that qualifies, and we collect data based on those reasonable assumptions. We Probably Are Missing Some Opportunities, But They Can t Be Material. If Anything, We May Be Slightly Overstating DPGR. What This Often Means We Don t Have The Resources To Analyze Everything, So We Just Do The Best We Can. Our Process Was Set Up In 2005, And We Have Been Too Busy To Revisit It. We Are Heavily Reliant On A Process That May Be Flawed. We Think We Understand Our Business Operations, But We Really Do Not. A Very Imperfect Starting Point Domestic Production Activities Deduction 10

Revenue Classification -- DPGR Reporting Too Little DPGR Happens Frequently Understating DPAD by Reporting Too Much DPGR Happens More Frequently Than You Might Expect Revenue Classification Is A Critical First Step Impacts Amount of DPGR (Obviously) Also Drives The Impact Of Cost Of Goods Sold and Expense Allocation Section 199 Regulations Are Chock Full Of DPGR Rules See Section 199 Outline Domestic Production Activities Deduction 11

Revenue Classification -- DPGR Gross Receipts Directly Derived From Lease, Rental, License, Sale, Exchange, Or Other Disposition Of Qualifying Production Property ( QPP ) MPGE By The Taxpayer In Whole Or In Significant Part Within The United States Domestic Production Activities Deduction 12

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Revenue Classification DPGR Gross Receipts Derived From Sale/Lease/License Of QPP Substance Over Form Item Identification Shrink Back Aggregate De Minimis Rule Item-Specific De Minimis Rules Domestic Production Activities Deduction 14

Revenue Classification -- DPGR MPGE MPGE By The Taxpayer Who Is The Taxpayer? Which Activities Are The Taxpayer s Activities? Consolidated Group EAG and Partnership Attribution Qualifying In Kind Partnership Benefits and Burdens Of Ownership Government Contractors Domestic Production Activities Deduction 15

Revenue Classification DPGR MPGE By The Taxpayer In Whole Or In Significant Part How Much Is Enough? We Don t Really Do Much Or We Don t Really Do Much In The U.S. Substantial In Nature Obviously, Calls For Judgment (Which Calls For An Accurate Understanding Of The Facts) The Taxpayer Does Not Have To Satisfy The Safe Harbor! Significant Third-Party Or Imported Content Is Not A Show Stopper Within The U.S. Domestic Production Activities Deduction 16

DPGR Specific Industries Qualified Films Motion Pictures, Videos, And Other Programming See Outline For Summary Of Special Rules Electricity, Natural Gas, Or Potable Water Generation, Extraction, And Processing; Not Transmission Negative QPAI vs. Nonqualified Loss Construction Of Real Property Inherently Permanent Structures And Infrastructure Substantial Renovations Support Of Oil And Gas Operations Domestic Production Activities Deduction 17

DPGR Specific Industries Engineering Or Architectural Services For A Construction Project Computer Software Sale Or License May Be An Integral Part Of Other Property Video Games Online Software? Updates May Be Substantial In Nature Does Your Client/Business Hire Programmers? Domestic Production Activities Deduction 18

Cost Of Goods Sold CGS Is Equal To Beginning Inventory Plus Purchases And Production Costs Incurred During The Taxable Year And Included In Inventory Costs, Less Ending Inventory 1.199-4(b)(1) CGS Allocable To DPGR Guidance (In Regulations Or Otherwise) Is Limited Reasonable Method... Based On All Facts And Circumstances Specific Identification? Apportionment? Indirect Costs? Domestic Production Activities Deduction 19

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Treatment Of Below The Line Expenses Expenses Not In CGS (Lines 12-26 on Form 1120) Simplified Deduction Method Gross Receipts Ratio Average Gross Receipts Of $100M Or Less, Or $10M Or Less Of Assets Small Business Simplified Overall Method Gross Receipts Ratio Applied To Total Costs Average Gross Receipts Of $5M Or Less, And Certain Cash Basis Taxpayers Section 861 Method 1.861-8 Through 1.861-17, and 1.861-8T Through 1.861-14T With A Few Modifications In The 199 Regulations Domestic Production Activities Deduction 21

Section 861 Method Can Be A Major Driver Of DPAD Results Requires Careful Application Of A Complex Set Of Rules Expenses Directly Related To DPGR (Or Non-DPGR) Should Be Allocated To Those Receipts Other Expenses Require Apportionment Under A Reasonable Method Or Pursuant To Specific Rules (Interest; Taxes; R&D; Charitable Contributions) Feels About Right Or Seems Reasonable? If Taxable Income > QPAI, Revisit Your Section 861 Methodologies Domestic Production Activities Deduction 22

Prior Period Expenses Can Be A Significant Opportunity Expenses That Relate To Pre-2005 Activities, But Are Deductible In A Post-2004 Tax Year Qualified Pension Plan Funding Non-Qualified Pension Plan Payouts Stock Option Expense Judgments/Settlements Environmental Claims and Remediation Domestic Production Activities Deduction 23

Prior Period Expenses Amounts Subject To Section 861 Method Post-2004 Deductions That Factually Relate To Pre-2005 Gross Receipts Are Not Properly Allocable To DPGR IRS May Challenge Your Methodology, But They Have Accepted The Concept Amounts Includible In CGS See CCA 200946037 IRS Contends That Amounts In CGS May Not Be Treated As Prior Period Expenses And, Of Course, IRS Interprets 263A Rather Expansively Very Good Arguments For Why IRS Position Is Wrong Domestic Production Activities Deduction 24

Pass-Thru Entities Focusing On Partnerships, But Regulations Also Have Similar Rules For S Corps, Trusts, And Estates General Rule Partnership Reports Information To Partners; Then Each Partner Does Its Own Partner-Level QPAI Calculation Form K-1, Line 13 DPGR, Non-DPGR, Q COS, NQ COS, Expenses Subject To Section 861 Method, and Wages Section 861 Method Is Applied At Partner Level Rev. Proc. 2007-34 Certain Eligible Partnerships May Calculate QPAI And W-2 Wages At Partnership Level At Least 100 Partners Or Total Costs Of $100M Or Less Partners Simply Add The Results To Non-Partnership Results Partnership Items And Attributes Are Ignored Domestic Production Activities Deduction 25

Pass-Thru Entities Trap For The Unwary Generally, Activity Attribution Does Not Apply Between Partners And Partnerships Use Of Partnership Could Disqualify Certain Revenue But See Qualifying-In-Kind Partnership And EAG Rules Also A Special Attribution Rule For Qualified Films Domestic Production Activities Deduction 26

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Expanded Affiliated Groups Consolidated Group, Plus More-Than-50%-Owned Subsidiaries All Members Generally Are A Single Corporation Each Member Computes TI, QPAI, And W-2 Wages Disposing Member Generally Is Treated As Conducting The Activities Of Other Members Attribution Generally Does Not Apply For Construction, Engineering, Or Architectural Services, Except Within A Consolidated Group Domestic Production Activities Deduction 28

EAG DPAD Calculation Consolidated Group Is One Member Each Member Determines Its Own TI, QPAI, And W- 2 Wages Then Aggregate The Separate Determinations To Apply Limitations And Calculate The EAG s DPAD Then Allocate The EAG s DPAD Based On Each Member s Share Of EAG QPAI Domestic Production Activities Deduction 29

Other Rules -- 1.199-8 Allocations May Be Made Under Any Reasonable Method Based On All Facts And Circumstances, Unless Regulations Specify A Method Coordination With AMT Attribution Generally Does Not Apply In Connection With Non-recognition Transactions ( 351/721/731/1031), But See Exceptions For EAGs, EAG Partnerships, And 381(a) Transactions Treatment Of 481 Adjustments Pre-2005 Disallowed Losses And Deductions Do Not Impact DPAD If Allowed Post-2004 Domestic Production Activities Deduction 30

Taxable Income Limitation Form 1120, Line 30 Plus DPAD On Line 25 A Moving Target Obviously, A Very Long List Of Items Impact Taxable Income Gain On Asset And Stock Dispositions Cash Repatriations NOL Carry Forwards And Carry Backs Bonus Depreciation Pension Funding Decisions (Late In Return Prep Season) IRS Audit Adjustments Maximize Cash And EPS Domestic Production Activities Deduction 31

W-2 Wages Limitation For Most Taxpayers This Limitation Is Not A Problem DPAD Is Capped At 50% Of W-2 Wages Allocable To DPGR Are The Wages (CGS And Below-The-Line) In The QPAI Calculation At Least 200% Of DPAD? If Not, Consider The Wage Expense Safe Harbor ( 1.199-2(e)(2)(ii)) See Rev. Proc. 2006-47 For W-2 Wages Guidance Special Rules Apply To Qualified Films, Short Taxable Years, And Acquisition/Disposition Of A Trade Or Business Domestic Production Activities Deduction 32

Contact Information www.profitpointtax.com John Manning 301-204-9336 jmanning@profitpointtax.com Dan Steele 412-303-2269 dsteele@profitpointtax.com Domestic Production Activities Deduction 33