INTEREST CHARGE DOMESTIC INTERNATIONAL SALES CORPORATIONS (IC-DISC) Stephen A. Lee

Similar documents
IC-DISC TAX SAVINGS FOR EXPORTERS. An overlooked tax break that could be your big break. Reduce Current & Future Taxes

U.S. Tax Benefits for Exporting

THE IC-DISC. By Richard S. Lehman, Esq

Shareholder s Statement of IC-DISC Distributions 1997

IC-DISC Update for VALET Members

TABLE OF CONTENTS. General Rules

Reducing Taxes for Farmers, Growers, Fishermen and Related Industries

IC-DISC: Compliance Challenges in the Federal Tax Break for Exporters

IC-DISC: Compliance Challenges in the Federal Tax Break for Exporters

Is a noncorporate limited partner s distributive share of partnership interest

lated FSCs from property acquired by the FSCs from the corporation. 6 However, this aggregate amount does not include any

Interest Charge Domestic International Sales Corporations - The remaining exporter tax benefit

Regulatory and Tax Update

MANUFACTURING & DISTRIBUTION Winter 2012

IC DISC Export Tax Incentive

Internal Revenue Code Section 199(c)(4) Income attributable to domestic production activities

Reducing Taxes for Distributors

Reducing Taxes for Manufacturers & Related Parties

IC-DISC Strategies: Mastering the Complex Operational Challenges

Tangible Property Regulations and Tax Update for the Oil and Gas Industry

Business Tax Breaks Retroactively Reinstated and Extended by the 2012 Taxpayer Relief Act

Internal Revenue Code Section 542 Definition of personal holding company.

International Taxes, Credits and Deductions

Circumstances in Which an IRA May Owe Taxes 1

CHOICE OF ENTITY FOR INTERNATIONAL OPERATIONS AFTER THE 2017 TAXACT

November 26, Dear Mr. Dinwiddie:

THE CORPORATE INCOME TAX

The Qualified Business Income Deduction Under the Tax Cuts and Jobs Act

ARNOLD PORTER LLP. Special Edition: International Provisions of the American Jobs Creation Act. Overview INTERNATIONAL TAX HEADLINES DECEMBER 2004

What Do You Need To Know When You re Thinking About Investing Overseas? Chiu & Wang, Inc. Premier Tax Services

Tangible Property Regulations Overview Key Provisions for Small Business Taxpayers. Tim Benningfield 07/15/2015

Personal holding companies (See also: Foreign personal holding companies) Affiliated groups; dividend exclusion provision. In deciding whether

Final Proposal Fixed Text

Joint Venture Investment

IC-DISC Strategies: Mastering the Complex Operational Challenges

Advisory. International Tax. Special Alert. International Provisions of the American Jobs Creation Act of 2004 (the JOBS Act )

Introduction Partnership defined Partner defined Filing requirements Payment requirements Adjustments to income...

IC-DISC Strategies: Mastering the Complex Operational Challenges

IC DISC Audit Guide LB&I INTRODUCTION 1. PURPOSE 2. FORMAT 3. LIMITATION 2. A GENERAL OVERVIEW OF THE DISC 1. INTRODUCTION TO THE DISC

Domestic Production Activities Deduction Chapter 7 pp National Income Tax Workbook

Tangible Property Regulations - Frequently Asked Questions (irs.gov)

Practical Issues in Subpart F and Section 956

IC-DISC Audit Guide LB&I INTRODUCTION 1. PURPOSE 2. FORMAT 3. LIMITATION 2. A GENERAL OVERVIEW OF THE DISC

RIA Special Study: Business Tax Provisions Retroactively Extended by the Tax Increase Prevention Act of 2014

Decoding Unrelated Business Taxable Income (UBTI) Within an IRA

IC-DISC Compliance: Exporter Challenges in the Federal Tax Break

Gulf Coast Ultra Deep Royalty Trust. Federal Income Tax Information

Section Income Attributable to Domestic Production Activities

The Federal Income Tax Consequences of the Receipt of Compensation for the Removal of Commercial Citrus Trees

GWU Law School / IRS 30 th Annual Institute

OIL AND GAS PRACTICE GUIDE

International Income Taxation Chapter 11

DIVISION T REVENUE PROVISIONS

RECAP OF BUSINESS TAX LAW CHANGES GOING INTO EFFECT IN 2005

This Chief Counsel Advice responds to your request for assistance. This advice may not be used or cited as precedent.

CHOICE OF BUSINESS ENTITY: PRESENT LAW AND DATA RELATING TO C CORPORATIONS, PARTNERSHIPS, AND S CORPORATIONS

Opportunity Zone Workforce Housing Vignette

LIST OF SUBSTANTIVE CHANGES AND ADDITIONS. PPC s Guide to Real Estate Taxation. Twenty-fourth Edition (June 2018)

Current. Law. A partnership interest other than a capital interest. Rev Proc IRS Administrative Concession For Vested Profits Only Interest

Federal Income Tax Opportunities for US Individuals & Businesses in Puerto Rico After Tax Reform

Louisiana Law Review. Susan Kalinka. Volume 59 Number 2 Winter Repository Citation

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.

EXPLANATION OF THE BILL. A. Individual Tax Reform PART I TAX RATE REFORM

Introduction To Partnerships And LLCs 1-4. Tax Impact of California Revised LLC Act

Minimizing the Self-Employment Tax for LLC Members

IRC 199 Qualified Domestic Production

DRAFT AS OF August 7, 2013

Instructions for Form 1118

International Income Taxation Chapter 13: DIRECT INVESTMENT ABROAD

Bankruptcy Questions Answered!

OPERATING A BUSINESS TAX CONSIDERATIONS

The Tax Cuts and Jobs Act of 2017 and Internal Revenue Code Section

S Corporations A Complete Guide

TECHNICAL EXPLANATION OF THE SENATE COMMITTEE ON FINANCE CHAIRMAN S STAFF DISCUSSION DRAFT OF PROVISIONS TO REFORM INTERNATIONAL BUSINESS TAXATION

11 th Biennial Parker C. Fielder Oil and Gas Tax Conference

IMPACT. March/April Could the NIIT apply to the sale of your home? Why a private annuity is a powerful estate planning tool

1031 Like-Kind Exchanges Advanced Topics, Updates, and Industry News

Guidance Regarding Deduction and Capitalization of Expenditures Related to Tangible Property

H. Compensation. Present Law

PROPERTY TAX: USE THE IRS REPAIR REGS TO REDUCE ASSESSMENTS

First round of proposed regulations issued for opportunity zones

The Eagerly Awaited Opportunity Zone Regulations: What Do They Tell Us and What Do We Still Need to Figure Out?

Puerto Rico Emerging Investment Opportunities: Legal, Accounting & Lifestyle

Form 3115 Application for Change in Accounting Method

NORTH CAROLINA GENERAL ASSEMBLY 1981 SESSION CHAPTER 46 HOUSE BILL 45

IRC 751 "Hot Assets": Calculating and Reporting Ordinary Income in Disposition of Partnership or LLC Interests

Section 199 Qualified Production Activities Deduction. Chiu & Wang, Inc. Premier Tax Services

Foreign Based Company Services Income. HLB North American Tax Conference

ESTATE PLANNING AND ADMINISTRATION FOR S CORPORATIONS

TANGIBLE PROPERTY REGULATIONS

Comparison of Current Tax Law, House and Senate Tax Reform Bills, and Conference Report. December 15, 2017 INSURANCE PROVISIONS...

(126th General Assembly) (Substitute House Bill Number 149) AN ACT

Rental Real Estate Deductions

December 27, 2018 CC:PA:LPD:PR (REG ), Room 5203 Internal Revenue Service P.O. Box 7604, Ben Franklin Station, Washington, DC 20044

Extending Payment of Estate Taxes For Closely Held Businesses

Swimming Upstream? Subpart F and FTC Considerations in Upstream Oil and Gas Activities

Current Developments New GAAP Requirements and Effect on Accounting for Income Taxes

Table of Contents. Title 72 UNIFORM LOCAL SALES TAX. Part I. General Provisions

LOUISIANA STATE UNIVERSITY SYSTEM FLEXIBLE BENEFITS PLAN. (Effective January 1, 2013)

Real Estate Journal TM

Transcription:

INTEREST CHARGE DOMESTIC INTERNATIONAL SALES CORPORATIONS (IC-DISC) Stephen A. Lee Lee & Desenberg, PLLC 440 Louisiana St., Ste. 2200 Houston, TX 77002 713-275-8440 March 17, 2015

Intended to encourage export of U.S. goods and select services World Trade Organization has found it not to be an illegal subsidy IC-DISC introduced in 1984 Of benefit to medium-size closely-held businesses IRC Sections 991-994 2

Benefits The IC-DISC itself does not pay tax on its income. The IC-DISC shareholder pays an interest charge on the deferred tax. On payment of the dividend to the IC-DISC shareholder, the shareholder pays tax on the dividend at normal dividend tax rates. 3

Limitations There are two types of IC-DISCs: Commission IC-DISCs and Buy-Sell IC- DISCs 1. A Commission IC-DISC may receive commissions on up to $10 million of qualifying export sales per year and not pay income tax on the commission. 2. A Buy-Sell IC-DISC may defer income on up to $10 million of export receipts. Most taxpayers use a Commission IC-DISC, since it is easier to operate. 4

Commissions Commission on Commission IC-DISC is the greater of: o 4% of qualified export receipts, or o 50% of the taxable income attributable to applicable export gross receipts. 5

Tax on Distribution If the IC-DISC pays a dividend, a noncorporate shareholder will pay tax on the dividend at a top rate of 20%. The 3.8% net investment income tax may apply. The IC-DISC allows a taxpayer to convert income taxed at 35% to income taxed at 23.8%. 6

Tax on Income Not Distributed The IC-DISC can retain its earnings and lend the money to the producer. The shareholders of the IC-DISC pay income tax on (1) the interest on the deferred tax and (2) the interest the IC-DISC earns on the producer loans. 7

Example One The IC-DISC earns $400,000 in commissions on export sales (4% commission on $10 million sales). The IC-DISC pays a $400,000 dividend to its shareholders. The IC-DISC is owned by individual shareholders who own the related supply company. The supply company pays tax at a 35% rate. The supply company will receive a tax deduction for the commission that saves it $140,000 in tax. The shareholders have dividend income taxed at 23.8% or $95,200 in tax. The tax benefit realized is $44,800. 8

Example Two The IC-DISC earns $2.5 million in commission on export sales (50% of the combined taxable income of the producer and IC-DISC on $10 million of export sales). The corporation pays tax at a 35% rate. The IC-DISC is owned by individual shareholders who own the related supply company. The corporation will receive a tax deduction for the commission that saves it $875,000. The shareholders have dividend income taxed at 23.8% or $595,000. The tax benefit realized is $280,000. 9

Definition of Net Income A commission may equal 50% of net income attributable to the export property. Based on the supplier s income and expenses and the IC-DISC s income and expenses. To determine the combined taxable income attributable to the qualified export receipts, Sec. 994 applies. Preferability of this method depends on profit margin. 10

Definition of Net Income The IC-DISC can retain its earnings and lend the money to the producer The IC-DISC may choose the export sales of the supplier to report. The calculation of net income attributable to the export property gets complicated. Several companies provide calculations. Section 994 allows the taxpayer to elect marginal pricing rules where only marginal costs of producing and selling the item i.e., direct material costs and direct labor costs The IRS IC DISC Audit Guide has a lengthy discussion and examples of pricing calculations. 11

Example Three The IC-DISC earns $400,000 in commissions on export sales. The IC-DISC is owned by individual shareholders who own the related supply company. The company pays tax at a 35% rate. The company will receive a deduction that saves it $140,000. The IC-DISC loans back the $400,000 to the Company. The shareholders of the IC-DISC have dividend income equal to (1) the interest that the IC-DISC earns on the loan to the Company and (2) interest on the deferred tax. On eventual dividend payment of the deferred income amount, the shareholder will have dividend income. The interest rate on the deferred tax is based on the T-bill rate. The rate for 2014 is 0.11%. Rev. Rul. 2014-27. 12

Example Four The IC-DISC earns $2.5 million in commission on export sales (50% of the taxable income of the combined income of the producer and IC- DISC on $10 million of export sales). The company pays tax at a 35% rate. The IC- DISC is owned by the individual shareholders who own the related supply company. The corporation will receive a deduction for the commission that saves it $875,000 in taxes. The IC-DISC loans back $875,000 to the Company. The shareholders of the IC-DISC will have taxable income equal to the interest on the loans to the producer and interest on the deferred tax. On eventual dividend payment of the deferred income amount, the shareholders will have dividend income. 13

Other Restrictions IC-DISC must be incorporated in the U.S. 95% or more of the IC-DISC s receipts must be qualified export receipts 95% of the assets must be qualified export assets on last day of year Corporation must have capital of at least $2,500 and only one class of stock Corporation must have made an election to be treated as an IC-DISC Corporation must not be an ineligible entity (i.e., S corporation) Commission charge may not put supply company in a loss situation 14

Qualified Export Receipts Qualified export receipts are any of the following: Gross receipts from selling, exchanging or otherwise disposing of export property. Gross receipts from leasing or renting export property that the lessee uses outside the U.S. Gross receipts from supporting services related to any qualified sale, exchange, lease, rental, or other disposition of export property by the IC-DISC. Gross receipts from selling, exchanging or otherwise disposing of qualified export assets that are not export property, but only if there is a recognized gain. Dividends (or amounts includible in gross income under Section 951) with respect to stock of a related foreign export corporation. Interest on any obligation that is a qualified export asset. Gross receipts for engineering or architectural services for construction projects outside the U.S. Gross receipts for the performance of managerial services in furtherance of the production of other qualified export receipts of an IC- DISC. 15

Qualified Export Property Qualified export assets are any of the following: Export property Assets used primarily in connection with the sale, lease, rental, storage, handling, transportation, packaging, assembly, or servicing of export property, or the performance of engineering or architectural services described in item 7 of Qualified Export Receipts above or managerial services in furtherance of the production of qualified export receipts described in items 1, 2, 3 and 7 above. Accounts receivable produced by transactions listed under Qualified Export Receipts, items 1-4, 7, or 8 above. Temporary investments, such as money and bank deposits, in an amount reasonable to meet the IC-DISC s needs for working capital. A producer s loan. Stock or securities of a related foreign export corporation (defined below). Certain obligations that are issued or insured by the U.S. Export-Import Bank or the Foreign Credit Insurance Association. Obligations that were issued by a domestic corporation organized to finance export property sales under an agreement with the Export- Import Bank. Amounts (other than reasonable working capital) on deposit in the U.S. used to acquire qualified export assets. 16

Export Property Export property must be: Made, grown, or extracted in the U.S. by a person other than an IC-DISC; Neither excluded under Section 993(c)(2) nor declared in short supply under Section 993(c)(3); Held mainly for sale, lease or rent in the ordinary course of a trade or business, by or to an IC-DISC for direct use, consumption, or disposition outside the U.S.; Property not more than 50% of the fair market value of which is attributable to articles imported in the U.S.; and Neither sold nor leased by or to another IC-DISC that, immediately before or after the transaction, either belongs to the same controlled group. 17

Producer Loans A producer s loan must meet all of the following terms: Satisfy the requirements of Sections 993(d)(2) and (3). Not raise the unpaid balance due the IC-DISC on all of its producer s loans above the level of accumulated IC- DISC income it had at the start of the month in which it made the loan. Be evidenced by a note, or other written evidence of indebtedness, with a state maturity date no more than 5 years after the date of the loan. Be made to a person engaged in a U.S. trade or business of making, growing, or extracting export property. Be designated as a producer s loan when made. See Schedule Q (Form 1120-IC-DISC), Borrower s Certificate of Compliance With the Rules for Producer s Loans and Regulations Section 1.993-4. 18

Documents Required Articles of Incorporation Bylaws Commission Agreement Producer Loan Notes (if applicable) 19

Federal Tax Forms Required Form 4876-A, Election To Be Treated as an IC-d DISC Form 1120-IC-DISC (and related schedules) Form 8404 Interest Charge on DISC-Related Deferred Tax Liability 20

Election Procedure IC-DISC must file a Form 4876-A within 90 days after the beginning of IC-DISC s year. All of the IC-DISC shareholders must consent to the election. 21

Former DISC s The shareholders of an IC-DISC that terminates its election must take the deferred tax into income over 10 years. 22

Typical Structures Shareholders of a closely-held C corporation form a sister corporation that elects IC-DISC status. A S corporation or partnership may own the IC-DISC directly. A C corporation may own the IC-DISC directly, but they will only get the deferral benefit but not the rate differential benefits. See IRC 246(d) The IC-DISC does not have to be owned by the same persons as the producer entity. Family members could own the stock of the IC-DISC. Dividends from a DISC are UBTI for a tax-exempt entity. IRC 995(g). 23

Audit Guide Areas of IRS Concern IC-DISC properly established Export property properly classified IC-DISC commissions are properly calculated Return reporting errors 24

Additional Information IRS IC-DISC Audit Guide TM Portfolio 934: Export Tax Incentives (BNA Tax Management, International Series) 25