The New Federal (and State?) Partnership Audit Rules. Master Limited Partnership Association 2016 Annual Meeting Washington, DC September 15, 2016

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Transcription:

The New Federal (and State?) Partnership Audit Rules Master Limited Partnership Association 2016 Annual Meeting Washington, DC September 15, 2016

Panelists Bruce P. Ely Partner Bradley Arant Boult Cummings LLP Birmingham, AL bely@bradley.com Steven N.J. Wlodychak Principal Ernst & Young LLP Washington, DC Steven.Wlodychak@ey.com 2

Federal Partnership Audit Reform Bipartisan Budget Act of 2015 o Includes federal partnership audit reform o Generally applies to tax years beginning after 12/31/17 But certain elections can make it applicable RIGHT NOW o Meant to simplify auditing partnerships and assessing liabilities expected to raise $9.3 billion (over 10 years) 3

IRS audit/adjustment rates by entity type Figure 5: Fiscal Year 2012 Examination and Adjustment Rates for Different Types of Tax Returns Source: US Government Accountability Office Partnerships and S corporations: IRS Needs to Improve Information to Address Tax Noncompliance (May 2014) (available on the Internet at http://www.gao.gov/assets/670/663185.pdf (last accessed Mar. 22, 2016)) 4

IRS returns by entity type Figure 4: Number of Returns by Form of Business, Tax Years 2002 to 2011 Source: US Government Accountability Office Large Partnerships: With Growing Number of Partnerships, IRS Needs to Improve Audit Efficiency (Sept. 2014) (GAO-14-732) available on the Internet at http://www.gao.gov/assets/670/665886.pdf (last accessed Mar. 22, 2016)) 5

Growth of large partnerships Table 16: Number of Large Partnerships by Industry Group, Tax Years 2002 to 2011 Tax Year Industry Group 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 Mining 18 32 35 44 76 99 131 129 127 170 Manufacturing Transportation and Warehousing Transportation and Warehousing 23 25 27 39 56 85 105 108 116 142 43 43 51 40 56 61 92 87 96 114 Finance and insurance 1,799 2,195 2,715 3,190 4,731 5,707 5,530 6,124 5,955 7,333 Real Estate, Rental and Leasing 695 685 782 870 1,081 1,275 1,486 1,401 1,287 1,507 Professional, Scientific, and Technical Services 55 57 69 74 85 86 108 109 98 129 Holding companies 56 53 72 89 113 157 186 200 193 233 Other 143 152 198 256 320 403 446 442 387 471 Source: GAO analysis of IRS data from the Enhanced Large Partnership Indicator (ELPI) File and Business Returns Transaction File, Compliance Data Warehouse. I GAO-14-732 6

Other Statistics Richard Prisinzano, U.S. Treasury Department; Danny Yagan, University of California, at Berkeley Economics Department, Draft Paper for NYU Spring Colloquium on Tax Policy and Public Finance 2016, Business in the United States Who Owns It and How Much Tax Do They Pay? 7

Other Statistics Richard Prisinzano, U.S. Treasury Department; Danny Yagan, University of California, at Berkeley Economics Department, Draft Paper for NYU Spring Colloquium on Tax Policy and Public Finance 2016, Business in the United States Who Owns It and How Much Tax Do They Pay? 8

Other Statistics 15-20% of income cannot be traced to partners (or back to partnerships) because of the nature of the partners or circular partnership holdings Almost 70% of partnership income accrues to the top 1% income earners 9

Multi-tiered Partnership Structure Figure 7: Example of Partnership Structure Source: US Government Accountability Office Large Partnerships: With Growing Number of Partnerships, IRS Needs to Improve Audit Efficiency (Sept. 2014) (pg. 17) (GAO-14-732) available on the Internet at http://www.gao.gov/assets/670/665886.pdf (last accessed Mar. 22, 2016)) 10

Implications for the States Large financial market and production states (and venture capital markets) are likely to see the greatest impact Smaller and more rural states partnerships are likely to be simpler, more closely held, investment partnerships (with real estate predominating) and less likely to have multistate implications 11

New Regime - Basic Rules IRS may assess and collect from partnerships at the entity level for 1065 and Schedule K-1 issues o Collection from partnership (not partners) in year of adjustment rather than year of review Option to elect out for partnerships with 100 or fewer eligiblepartners o Partners cannot be other partnerships, LLCs (including SMLLCs), trusts, or tax exempt organizations o Audit, assessment and collection at partner level Back to the Future Pre-TEFRA o Election is the PARTNERSHIP s (not the partners individually) and must be made annually Who s going to decide? 12

New Regime - Basic Rules Partnership representative (f/k/a Tax Matters Partner ) makes binding decisions for the partners and the partnership o Doesn t even have to be a partner If one has not been appointed, the IRS will appoint one for you o How will partnership representative be: Controlled? Compensated and indemnified? o Does this mean that EVERY PARTNERSHIP/LLC AGREEMENT in America has to be revised to cover this point? 13

New Regime - Basic Rules After assessment, partnerships (that can t or fail to timely elect out) can: o Modify the proposed entity-level assessment by presenting information specific to partners taxes including amended returns, or o Push out the entity-level tax liability by providing Schedule K-type reports to partners for their share of the tax imposed at the partnership level current year Cost: 2% higher interest rate 14

State Issues Will state law conform to the new federal changes? o Not automatically New federal rules are primarily in IRC secs. 6221 to 6241 (administrative procedures) States use the IRC only to compute taxable income and do not incorporate IRC administrative procedures o States usually have their own procedures Practitioners need guidance for dealing with partnership and operating agreements 15

State Issues Without automatic adoption, where does that leave states? o For partnerships assessed by the IRS at the entity level, how will states impose related state tax? o How are states to deal with the liability being assessed in year of adjustment rather than year of review? o Most states never conformed to TEFRA 16

Existing State Enforcement Mechanisms Many states already use two types of enforcement mechanisms for nonresident partners: o Impose withholding requirement on partnership for income passed through to nonresident partners (or nonresident partner consents to state taxation) o Impose a composite filing requirement Could states modify/expand these to require entity level audit liability remittance? 17

Procedural Issues for States Statutes of limitation and notices to partners Start date of audit (as relates to each partner) Adjustments that affect one partner Adjustments that affect multiple partners Adjustments that affect past years or future years Adjustments resulting in refunds Who represents the partnership with respect to appealing or settling issues? Penalties and interest Collection of liabilities 18

Procedural Issues for States (cont.) Assessment in year of adjustment rather than reviewed year o o Partners in adjustment year could be different than partners in reviewed year Partners move change state of residence Paying for other people s taxes Will states conform to (several) federal elections? o Allow separate state elections? Post-federal audit information sharing o o Is state s receipt of partnership-level tax liability enough information to assess partners? How will states obtain information they need for state purposes (e.g., apportionment data? Business/nonbusiness income? Unitary determinations?) 19

Arizona The First Adopter Faced a minor problem: No statutory authority to even audit a partnership Largely adopts federal procedures, with some revisions o New law amended RAR statute and added new statute. Ariz. Laws 2016, ch. 155 (S.B. 1288) (signed May 11, 2016) If partnership is assessed by IRS : o o For increases to AZ taxable income, partnership must file AZ return and pay tax within 90 days after final IRS determination For decreases to AZ taxable income, or if partnership makes federal push out election: Partnership must provide reviewed year partners (and DOR) an adjusted K-1 within 90 days after final IRS determination o Partnership must pay tax if it fails to timely issue adjusted K-1s o Partnership must pay tax on any RAR adjustments that it does not properly include on the adjusted K-1s Partners receiving adjusted K-1 must file an amended AZ return and pay tax within 150 days after final IRS determination reporting the changes 20

What s Likely Next at the State Level (Unofficial)? Joint ABA Tax Section SALT Comm./AICPA/COST/TEI Task Force Working with the Multistate Tax Commission and various states Goals: o To encourage the states to conform to the federal rules, with exceptions; o Possibly offer a fair and balanced model RAR statute for adoption by the states Expect MTC to issue model act, likely patterned after Arizona s conformity statute Meetings with IRS on how they can help the states and taxpayers 21

What s Likely Next at the Federal Level (w/state Follow-on)? Expect technical corrections bill in Congress; regs and other guidance from IRS Regs. already issued on Sub K entities that wish to opt-in early Unfortunately, state-by-state approach (close monitoring, proactive approach) More IRS Audits 22