chapter 10, corporate text - indiana state...
TRANSCRIPT
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Chapter 20Chapter 20
PartnershipsPartnerships
Eugene Willis, William H. Hoffman, Jr.,David M. Maloney and William A. RaabeEugene Willis, William H. Hoffman, Jr.,Eugene Willis, William H. Hoffman, Jr.,
David M. Maloney and William A. RaabeDavid M. Maloney and William A. Raabe
Copyright ©2004 South-Western/Thomson LearningCopyright ©2004 SouthCopyright ©2004 South--Western/Thomson LearningWestern/Thomson Learning
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Partnership DefinitionPartnership Definition
• An association of two or more persons to carry on a trade or business– Contribute money, property, labor– Expect to share in profit and losses
• For tax purposes, includes:– Syndicate– Group– Pool– Joint venture, etc
• An association of two or more persons to carry on a trade or business– Contribute money, property, labor– Expect to share in profit and losses
• For tax purposes, includes:– Syndicate– Group– Pool– Joint venture, etc
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Entities Taxed As Partnerships (slide 1 of 4)
Entities Taxed As Partnerships (slide 1 of 4)
• General partnership– Consists of at least 2 partners– Partners are jointly and severally liable
• Creditors can collect from both partnership and partners’ personal assets
• General partner’s assets are at risk for malpractice of other partners even though not personally involved
• General partnership– Consists of at least 2 partners– Partners are jointly and severally liable
• Creditors can collect from both partnership and partners’ personal assets
• General partner’s assets are at risk for malpractice of other partners even though not personally involved
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Entities Taxed As Partnerships (slide 2 of 4)
Entities Taxed As Partnerships (slide 2 of 4)
• Limited liability partnership (LLP)– An LLP partner is not liable for malpractice
committed by other partners– Popular organizational form for large
accounting firms
• Limited liability partnership (LLP)– An LLP partner is not liable for malpractice
committed by other partners– Popular organizational form for large
accounting firms
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Entities Taxed As Partnerships (slide 3 of 4)
Entities Taxed As Partnerships (slide 3 of 4)
• Limited partnership– Has at least one general partner
• One or more limited partners
– Only general partner(s) are liable to creditors• Limited partners’ loss is limited to equity investment
• Limited partnership– Has at least one general partner
• One or more limited partners
– Only general partner(s) are liable to creditors• Limited partners’ loss is limited to equity investment
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Entities Taxed As Partnerships (slide 4 of 4)
Entities Taxed As Partnerships (slide 4 of 4)
• Limited liability company (LLC)– Combines the corporate benefit of limited
liability with benefits of partnership taxation• Unlike corporations, income is subject to tax only
once• Special allocations of income, losses, and cash flow
are available– Owners are “members”, not partners, but if
properly structured will receive partnership tax treatment
• Limited liability company (LLC)– Combines the corporate benefit of limited
liability with benefits of partnership taxation• Unlike corporations, income is subject to tax only
once• Special allocations of income, losses, and cash flow
are available– Owners are “members”, not partners, but if
properly structured will receive partnership tax treatment
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“Check-The-Box” Regs (slide 1 of 2)“Check-The-Box” Regs (slide 1 of 2)
• Allows most unincorporated entities to select their federal tax status– If 2 or more owners, can choose to be treated as:
• Partnership, or• Corporation
– Permits some flexibility• Not all entities have a choice• e.g., New publicly traded partnerships must be taxed as
corporations
• Allows most unincorporated entities to select their federal tax status– If 2 or more owners, can choose to be treated as:
• Partnership, or• Corporation
– Permits some flexibility• Not all entities have a choice• e.g., New publicly traded partnerships must be taxed as
corporations
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“Check-The-Box” Regs (slide 2 of 2)“Check-The-Box” Regs (slide 2 of 2)
• Some entities can be excluded from partnership treatment if organized for:– Investment (not active trade or business)– Joint production, extraction, or use of property– Underwriting, selling, or distributing a specific
security• Owners simply report their share of
operations on their own tax return
• Some entities can be excluded from partnership treatment if organized for:– Investment (not active trade or business)– Joint production, extraction, or use of property– Underwriting, selling, or distributing a specific
security• Owners simply report their share of
operations on their own tax return
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Partnership Taxation (slide 1 of 3)Partnership Taxation (slide 1 of 3)
• Partnership is not a taxable entity– Flow through entity
• Income taxed to owners, not entity• Partners report their share of partnership income or
loss on their own tax return
• Partnership is not a taxable entity– Flow through entity
• Income taxed to owners, not entity• Partners report their share of partnership income or
loss on their own tax return
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Partnership Taxation (slide 2 of 3)Partnership Taxation (slide 2 of 3)
• Generally, the calculation of partnership income is a 2-step approachStep 1: Net ordinary income and expenses
related to the trade or business of the partnershipStep 2: Segregate and report separately
some partnership items – If an item of income, expense, gain or loss might affect any 2
partners’ tax liabilities differently, it is separately stated– e.g., Charitable contributions
• Generally, the calculation of partnership income is a 2-step approachStep 1: Net ordinary income and expenses
related to the trade or business of the partnershipStep 2: Segregate and report separately
some partnership items – If an item of income, expense, gain or loss might affect any 2
partners’ tax liabilities differently, it is separately stated– e.g., Charitable contributions
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Partnership Taxation (slide 3 of 3)Partnership Taxation (slide 3 of 3)
• Electing large partnerships can net some items that would otherwise be separately stated– Must have at least 100 partners and elect
simplified reporting procedures– Report no more than 16 separately stated items
• e.g., Net short-term and long-term capital gains and losses at partnership level and report the net amount to partners
• Electing large partnerships can net some items that would otherwise be separately stated– Must have at least 100 partners and elect
simplified reporting procedures– Report no more than 16 separately stated items
• e.g., Net short-term and long-term capital gains and losses at partnership level and report the net amount to partners
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Partnership ReportingPartnership Reporting
• Partnership files Form 1065– Includes Schedule K which accumulates the
information to be reported to partners• Provides ordinary income and separately stated
items in total
– Each partner (and the IRS) receives a Schedule K-1 for each partner
• Reports each partner’s share of income, expense, gain, and loss
• Partnership files Form 1065– Includes Schedule K which accumulates the
information to be reported to partners• Provides ordinary income and separately stated
items in total
– Each partner (and the IRS) receives a Schedule K-1 for each partner
• Reports each partner’s share of income, expense, gain, and loss
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Partner’s Ownership InterestPartner’s Ownership Interest
• Each owner normally has a:– Capital interest
• Measured by capital sharing ratio– Partner’s percentage ownership of capital
– Profits(loss) interest• Partner’s % allocation of partnership ordinary
income (loss) and separately stated items• Certain items may be “specially allocated”
– Specified in the partnership agreement
• Each owner normally has a:– Capital interest
• Measured by capital sharing ratio– Partner’s percentage ownership of capital
– Profits(loss) interest• Partner’s % allocation of partnership ordinary
income (loss) and separately stated items• Certain items may be “specially allocated”
– Specified in the partnership agreement
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Basis Issues (slide 1 of 3)Basis Issues (slide 1 of 3)
• Each partner has a basis in their partnership interest– Partner’s basis is adjusted for income and
losses that flow through• This ensures that partnership income is only taxed
once
• Each partner has a basis in their partnership interest– Partner’s basis is adjusted for income and
losses that flow through• This ensures that partnership income is only taxed
once
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Basis Issues (slide 2 of 3)Basis Issues (slide 2 of 3)
• Partner’s basis is important for determining:– Deductibility of partnership losses – Tax treatment of partnership distributions– Gain or loss on disposition of partnership
interest
• Partner’s basis is important for determining:– Deductibility of partnership losses – Tax treatment of partnership distributions– Gain or loss on disposition of partnership
interest
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Basis Issues (slide 3 of 3)Basis Issues (slide 3 of 3)
• Partner’s basis is important (cont’d):– Partner’s capital account balance is usually not
a good measure of a partner’s adjusted basis in a partnership interest for several reasons
• e.g., Basis includes partner’s share of partnership liabilities; Capital account does not
• Partner’s basis is important (cont’d):– Partner’s capital account balance is usually not
a good measure of a partner’s adjusted basis in a partnership interest for several reasons
• e.g., Basis includes partner’s share of partnership liabilities; Capital account does not
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Conceptual Basis For Partnership Taxation (slide 1 of 2)
Conceptual Basis For Partnership Taxation (slide 1 of 2)
• Involves 2 legal concepts:– Aggregate (or conduit) concept - Treats
partnership as a channel with income, expense, gains, etc. flowing through to partners
• Concept is reflected by the imposition of tax on the partners, not the partnership
• Involves 2 legal concepts:– Aggregate (or conduit) concept - Treats
partnership as a channel with income, expense, gains, etc. flowing through to partners
• Concept is reflected by the imposition of tax on the partners, not the partnership
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Conceptual Basis For Partnership Taxation (slide 2 of 2)
Conceptual Basis For Partnership Taxation (slide 2 of 2)
• Involves 2 legal concepts (cont’d):– Entity concept - Treats partners and partnership
as separate and is reflected by:• Partnership requirement to file its own information
return• Treating partners as separate from the partnership in
certain transactions between the two
• Involves 2 legal concepts (cont’d):– Entity concept - Treats partners and partnership
as separate and is reflected by:• Partnership requirement to file its own information
return• Treating partners as separate from the partnership in
certain transactions between the two
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Partnership Formation Transaction
Partnership Formation Transaction
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Tax Consequences of Partnership Formation (slide 1 of 2)
Tax Consequences of Partnership Formation (slide 1 of 2)
• Usually, no gain or loss is recognized by a partner or partnership on the contribution of money or property in exchange for a partnership interest
• Gain (loss) is deferred until taxable disposition of:– Property by partnership, or– Partnership interest by partner
• Usually, no gain or loss is recognized by a partner or partnership on the contribution of money or property in exchange for a partnership interest
• Gain (loss) is deferred until taxable disposition of:– Property by partnership, or– Partnership interest by partner
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Tax Consequences of Partnership Formation (slide 2 of 2)
Tax Consequences of Partnership Formation (slide 2 of 2)
• Partner’s basis in partnership interest = basis of contributed property– If partner contributes capital assets and §1231 assets,
holding period of partnership interest includes holding period of assets contributed
– For other assets including cash, holding period begins on date partnership interest is acquired
– If multiple assets are contributed, partnership interest is apportioned and separate holding period applies to each portion
• Partner’s basis in partnership interest = basis of contributed property– If partner contributes capital assets and §1231 assets,
holding period of partnership interest includes holding period of assets contributed
– For other assets including cash, holding period begins on date partnership interest is acquired
– If multiple assets are contributed, partnership interest is apportioned and separate holding period applies to each portion
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WST Partnership Formation Example (slide 1 of 2)
WST Partnership Formation Example (slide 1 of 2)
• William contributes cash– Amount $20,000
• Sarah contributes land– Basis $ 6,000– FMV $20,000
• Todd contributes equipment– Basis $22,000– FMV $20,000
• William contributes cash– Amount $20,000
• Sarah contributes land– Basis $ 6,000– FMV $20,000
• Todd contributes equipment– Basis $22,000– FMV $20,000
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WST Partnership Formation Example (slide 2 of 2)
WST Partnership Formation Example (slide 2 of 2)
Gain or loss Basis in Partnership’sPartner Recognized Interest Property Basis
William $-0- $20,000 $20,000Sarah $-0- $ 6,000 $ 6,000Todd $-0- $22,000 $22,000
Neither the partnership nor any of the partners recognizes gain or loss on the transaction
Gain or loss Basis in Partnership’sPartner Recognized Interest Property Basis
William $-0- $20,000 $20,000Sarah $-0- $ 6,000 $ 6,000Todd $-0- $22,000 $22,000
Neither the partnership nor any of the partners recognizes gain or loss on the transaction
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Exceptions to Tax-Free Treatment on Partnership Formation (slide 1 of 4)
Exceptions to Tax-Free Treatment on Partnership Formation (slide 1 of 4)
• Transfers of appreciated stock to investment partnership– Gain will be recognized by contributing partner– Prevents multiple investors from diversifying
their portfolios tax-free
• Transfers of appreciated stock to investment partnership– Gain will be recognized by contributing partner– Prevents multiple investors from diversifying
their portfolios tax-free
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Exceptions to Tax-Free Treatment on Partnership Formation (slide 2 of 4)
Exceptions to Tax-Free Treatment on Partnership Formation (slide 2 of 4)
• If transaction is essentially a taxable exchange of properties, gain will be recognized– e.g., Individual A contributes land and
Individual B contributes equipment to a new partnership; shortly thereafter, the partnership distributes the land to B and the equipment to A; Partnership liquidates
– IRS will disregard transfer to partnership and treat as taxable exchange between A & B
• If transaction is essentially a taxable exchange of properties, gain will be recognized– e.g., Individual A contributes land and
Individual B contributes equipment to a new partnership; shortly thereafter, the partnership distributes the land to B and the equipment to A; Partnership liquidates
– IRS will disregard transfer to partnership and treat as taxable exchange between A & B
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Exceptions to Tax-Free Treatment on Partnership Formation (slide 3 of 4)
Exceptions to Tax-Free Treatment on Partnership Formation (slide 3 of 4)
• Disguised Sale– e.g., Partner contributes property to a
partnership; Shortly thereafter, partner receives a distribution from the partnership
• Payment may be viewed as a purchase of the property by the partnership
• Disguised Sale– e.g., Partner contributes property to a
partnership; Shortly thereafter, partner receives a distribution from the partnership
• Payment may be viewed as a purchase of the property by the partnership
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Exceptions to Tax-Free Treatment on Partnership Formation (slide 4 of 4)
Exceptions to Tax-Free Treatment on Partnership Formation (slide 4 of 4)
• Receipt of partnership interest in exchange for services rendered to partnership– Services are not treated as “property”– Partner recognizes ordinary compensation
income = FMV of partnership interest received
• Receipt of partnership interest in exchange for services rendered to partnership– Services are not treated as “property”– Partner recognizes ordinary compensation
income = FMV of partnership interest received
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Tax Issues Relative To Contributed Property (slide 1 of 4)
Tax Issues Relative To Contributed Property (slide 1 of 4)
• Partnership’s basis in property contributed to the partnership equals contributing partner’s basis (i.e., a carryover basis)
• Partner’s basis in partnership interest received equals basis in contributed property (i.e., a substituted basis)
• Partnership’s basis in property contributed to the partnership equals contributing partner’s basis (i.e., a carryover basis)
• Partner’s basis in partnership interest received equals basis in contributed property (i.e., a substituted basis)
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Tax Issues Relative To Contributed Property (slide 2 of 4)
Tax Issues Relative To Contributed Property (slide 2 of 4)
• Contributions of depreciable property and intangible assets– Partnership “steps into shoes” of contributing
partner• Continues the same cost recovery (amortization)
calculations• Cannot expense contributed depreciable property
under §179
• Contributions of depreciable property and intangible assets– Partnership “steps into shoes” of contributing
partner• Continues the same cost recovery (amortization)
calculations• Cannot expense contributed depreciable property
under §179
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Tax Issues Relative To Contributed Property (slide 3 of 4)
Tax Issues Relative To Contributed Property (slide 3 of 4)
• Gain or loss is ordinary when partnership disposes of:– Contributed unrealized receivables– Contributed property that was inventory in
contributor’s hands, if disposed of within 5 years of contribution
• Inventory includes all tangible property except capital assets and real or depreciable business assets
• Gain or loss is ordinary when partnership disposes of:– Contributed unrealized receivables– Contributed property that was inventory in
contributor’s hands, if disposed of within 5 years of contribution
• Inventory includes all tangible property except capital assets and real or depreciable business assets
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Tax Issues Relative To Contributed Property (slide 4 of 4)
Tax Issues Relative To Contributed Property (slide 4 of 4)
• If contributed property is disposed of at a loss and the property had a “built-in” capital loss on the contribution date– Loss is treated as a capital loss if disposed of
within 5 years of contribution– Capital loss is limited to built-in loss on date of
contribution
• If contributed property is disposed of at a loss and the property had a “built-in” capital loss on the contribution date– Loss is treated as a capital loss if disposed of
within 5 years of contribution– Capital loss is limited to built-in loss on date of
contribution
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Elections Made by Partnership(slide 1 of 2)
Elections Made by Partnership(slide 1 of 2)
• Inventory method• Accounting method
– Cash, accrual or hybrid• Depreciation method• Tax year• Organizational cost amortization• Start-up expense amortization
• Inventory method• Accounting method
– Cash, accrual or hybrid• Depreciation method• Tax year• Organizational cost amortization• Start-up expense amortization
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Elections Made by Partnership (slide 2 of 2)
Elections Made by Partnership (slide 2 of 2)
• Optional basis adjustment (§754)• §179 deduction• Nonrecognition treatment for involuntary
conversions• Election out of partnership rules
• Optional basis adjustment (§754)• §179 deduction• Nonrecognition treatment for involuntary
conversions• Election out of partnership rules
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Initial Costs of PartnershipInitial Costs of Partnership
• Sec. Type of cost Treatment
• 709 Organization expense ≥ 60 mo. Amort• 709 Syndication costs Capitalized• 195 Pre-operating expense ≥ 60 mo. Amort.• 162 Ordinary/Necessary Exp. Deduction• 167 Acquisition of property Depreciated• 197 §197 Intangible 15 yr. Amort.
• Sec. Type of cost Treatment
• 709 Organization expense ≥ 60 mo. Amort• 709 Syndication costs Capitalized• 195 Pre-operating expense ≥ 60 mo. Amort.• 162 Ordinary/Necessary Exp. Deduction• 167 Acquisition of property Depreciated• 197 §197 Intangible 15 yr. Amort.
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Method Of Accounting (slide 1 of 2)
Method Of Accounting (slide 1 of 2)
• New partnership may adopt cash, accrual or hybrid method– Cash method cannot be adopted if partnership:
• Has one or more C corporation partners• Is a tax shelter
• New partnership may adopt cash, accrual or hybrid method– Cash method cannot be adopted if partnership:
• Has one or more C corporation partners• Is a tax shelter
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Method Of Accounting (slide 2 of 2)
Method Of Accounting (slide 2 of 2)
• New partnership may adopt cash, accrual or hybrid method (cont’d)– C Corp partner does not preclude use of cash
method if:• Partnership has average annual gross receipts of $5
million or less for preceding 3 year period• C corp partner(s) is a qualified personal service
corp, or• Partnership is engaged in farming business
• New partnership may adopt cash, accrual or hybrid method (cont’d)– C Corp partner does not preclude use of cash
method if:• Partnership has average annual gross receipts of $5
million or less for preceding 3 year period• C corp partner(s) is a qualified personal service
corp, or• Partnership is engaged in farming business
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Required Taxable YearRequired Taxable Year
• Partnership must adopt tax year under earliest of following tests met:– Majority partner’s tax year (partners with same
tax year owning >50%)– Principal partners’ tax year (all partners owning
5% or more)– Least aggregate deferral rule
• Partnership must adopt tax year under earliest of following tests met:– Majority partner’s tax year (partners with same
tax year owning >50%)– Principal partners’ tax year (all partners owning
5% or more)– Least aggregate deferral rule
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Least Aggregate Deferral Example (slide 1 of 2)
Least Aggregate Deferral Example (slide 1 of 2)
• George owns 50% and has June 30 year end• Henry owns 50% and has October 31 year
end• Neither partner owns a “majority” (>50%)• Both are “principal partners” (5% or more),
but do not have same year end– Must use least aggregate deferral test to
determine required taxable year
• George owns 50% and has June 30 year end• Henry owns 50% and has October 31 year
end• Neither partner owns a “majority” (>50%)• Both are “principal partners” (5% or more),
but do not have same year end– Must use least aggregate deferral test to
determine required taxable year
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Least Aggregate Deferral Example(slide 2 of 2)
Least Aggregate Deferral Example(slide 2 of 2)
1. Test June 30 as possible year end:Partner. Year End % Mo. Deferral WeightGeorge June 50% 0 0.0Henry October 50% 4 2.0Total weighed deferral 2.0
2. Test October 31 as possible year end:George June 50% 8 4.0Henry October 50% 0 0.0Total weighed deferral 4.0
June has the least aggregate deferral so it is the tax year for partnership.
1. Test June 30 as possible year end:Partner. Year End % Mo. Deferral WeightGeorge June 50% 0 0.0Henry October 50% 4 2.0Total weighed deferral 2.0
2. Test October 31 as possible year end:George June 50% 8 4.0Henry October 50% 0 0.0Total weighed deferral 4.0
June has the least aggregate deferral so it is the tax year for partnership.
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Alternative Tax YearsAlternative Tax Years
• Other alternatives may be available if:– Establish to IRS’s satisfaction that a business
purpose exists for another tax year• e.g., Natural business year at end of peak season• Obtain IRS approval to use natural business year
– Choose tax year with no more than 3 month deferral
• Partnership must maintain with IRS a prepaid, non-interest-bearing deposit of estimated deferred taxes based on highest individual tax rate + 1%
• Other alternatives may be available if:– Establish to IRS’s satisfaction that a business
purpose exists for another tax year• e.g., Natural business year at end of peak season• Obtain IRS approval to use natural business year
– Choose tax year with no more than 3 month deferral
• Partnership must maintain with IRS a prepaid, non-interest-bearing deposit of estimated deferred taxes based on highest individual tax rate + 1%
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C20 - 41
Measuring Income of PartnershipMeasuring Income of Partnership
• Calculation of partnership income is a 2-step approachStep 1: Net ordinary income and expenses
related to the trade or business of the partnership
Step 2: Segregate and report separately some partnership items
• Calculation of partnership income is a 2-step approachStep 1: Net ordinary income and expenses
related to the trade or business of the partnership
Step 2: Segregate and report separately some partnership items
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Separately Stated Items (slide 1 of 2)Separately Stated Items (slide 1 of 2)
• If an item of income, expense, gain or loss might affect any 2 partners’ tax liabilities differently, it is separately stated
• If an item of income, expense, gain or loss might affect any 2 partners’ tax liabilities differently, it is separately stated
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C20 - 43
Separately Stated Items (slide 2 of 2)Separately Stated Items (slide 2 of 2)
• Separately stated items fall under the “aggregate” concept – Each partner owns a specific share of each item
of partnership income, gain, loss or deduction• Character is determined at partnership level• Taxation is determined at partner level
• Separately stated items fall under the “aggregate” concept – Each partner owns a specific share of each item
of partnership income, gain, loss or deduction• Character is determined at partnership level• Taxation is determined at partner level
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C20 - 44
Examples Of Separately Stated Items (slide 1 of 2)
Examples Of Separately Stated Items (slide 1 of 2)
• Short and long-term capital gains and losses• §1231 gains and losses• Charitable contributions• Interest income and other portfolio income
• Short and long-term capital gains and losses• §1231 gains and losses• Charitable contributions• Interest income and other portfolio income
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C20 - 45
Examples Of Separately Stated Items (slide 2 of 2)
Examples Of Separately Stated Items (slide 2 of 2)
• Personalty expensed under §179• Special allocations of income or expense• AMT preference and adjustment items• Passive activity items• Self-employment income• Foreign taxes paid
• Personalty expensed under §179• Special allocations of income or expense• AMT preference and adjustment items• Passive activity items• Self-employment income• Foreign taxes paid
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C20 - 46
Partnership Taxable Income Example (slide 1 of 3)
Partnership Taxable Income Example (slide 1 of 3)
Sales revenue 100,000Salaries 35,000Rent 15,000Utilities 6,000Interest income 1,500Charitable contribution 2,000AMT adjustment for depreciation 3,600Payment of partner’s medical expenses 4,000
Sales revenue 100,000Salaries 35,000Rent 15,000Utilities 6,000Interest income 1,500Charitable contribution 2,000AMT adjustment for depreciation 3,600Payment of partner’s medical expenses 4,000
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C20 - 47
Partnership Taxable Income Example (slide 2 of 3)
Partnership Taxable Income Example (slide 2 of 3)
• Partnership ordinary taxable income:Sales revenue $100,000Salaries 35,000Rent 15,000Utilities 6,000Partnership Ordinary Income $ 44,000
• Partnership ordinary taxable income:Sales revenue $100,000Salaries 35,000Rent 15,000Utilities 6,000Partnership Ordinary Income $ 44,000
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C20 - 48
Partnership Taxable Income Example (slide 3 of 3)
Partnership Taxable Income Example (slide 3 of 3)
• Separately stated items:– Interest income $1,500– Charitable contribution 2,000– AMT adjustment for depreciation 3,600
• Distribution to partner:– Payment of partner’s medical exp. $4,000
• Separately stated items:– Interest income $1,500– Charitable contribution 2,000– AMT adjustment for depreciation 3,600
• Distribution to partner:– Payment of partner’s medical exp. $4,000
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C20 - 49
Partnership Allocations (slide 1 of 3)Partnership Allocations (slide 1 of 3)
• Partnership agreement can provide that partners share capital, profits, and losses in different ratios– e.g., Partnership agreement may provide that a partner
has a 30% capital sharing ratio, yet be allocated 40% of the profits and 20% of the losses
– Such special allocations are permissible if certain rules are followed
• i.e., Economic effect test
• Partnership agreement can provide that partners share capital, profits, and losses in different ratios– e.g., Partnership agreement may provide that a partner
has a 30% capital sharing ratio, yet be allocated 40% of the profits and 20% of the losses
– Such special allocations are permissible if certain rules are followed
• i.e., Economic effect test
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C20 - 50
Partnership Allocations (slide 2 of 3)Partnership Allocations (slide 2 of 3)
• The economic effect test requires that:– An allocation must be reflected in a partner’s
capital account– When partner’s interest is liquidated, partner
must receive assets with FMV = the positive balance in the capital account
– A partner with a negative capital account must restore that account upon liquidation
• The economic effect test requires that:– An allocation must be reflected in a partner’s
capital account– When partner’s interest is liquidated, partner
must receive assets with FMV = the positive balance in the capital account
– A partner with a negative capital account must restore that account upon liquidation
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C20 - 51
Partnership Allocations (slide 3 of 3)Partnership Allocations (slide 3 of 3)
• Precontribution gain or loss– Must be allocated to partners taking into
account the difference between basis and FMV on date of contribution
• For nondepreciable property this means any built-in gain or loss must be allocated to the contributing partner when disposed of by partnership in taxable transaction
• Precontribution gain or loss– Must be allocated to partners taking into
account the difference between basis and FMV on date of contribution
• For nondepreciable property this means any built-in gain or loss must be allocated to the contributing partner when disposed of by partnership in taxable transaction
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C20 - 52
Basis of Partnership Interest (slide 1 of 3)
Basis of Partnership Interest (slide 1 of 3)
• For new partnerships, partner’s basis usually equals:– Adjusted basis of property contributed, plus– FMV of any services performed by partner in
exchange for partnership interest
• For new partnerships, partner’s basis usually equals:– Adjusted basis of property contributed, plus– FMV of any services performed by partner in
exchange for partnership interest
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C20 - 53
Basis of Partnership Interest (slide 2 of 3)
Basis of Partnership Interest (slide 2 of 3)
• For existing partnerships, basis depends on how interest was acquired– If purchased from another partner, basis =
amount paid for the interest– If acquired by gift, basis = donor’s basis plus,
in certain cases, a portion of the gift tax paid on the transfer
– If acquired through inheritance, basis = FMV on date of death (or alternate valuation date)
• For existing partnerships, basis depends on how interest was acquired– If purchased from another partner, basis =
amount paid for the interest– If acquired by gift, basis = donor’s basis plus,
in certain cases, a portion of the gift tax paid on the transfer
– If acquired through inheritance, basis = FMV on date of death (or alternate valuation date)
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C20 - 54
Basis of Partnership Interest (slide 3 of 3)
Basis of Partnership Interest (slide 3 of 3)
• A partner’s basis in partnership interest is adjusted to reflect partnership activity – This prevents double taxation of partnership
income
• A partner’s basis in partnership interest is adjusted to reflect partnership activity – This prevents double taxation of partnership
income
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C20 - 55
Basis Example (slide 1 of 2)Basis Example (slide 1 of 2)
• Pam is a 30% partner in the PDQ partnership
• Pam’s beginning basis is $20,000• PDQ reports current income of $50,000• Pam sells her interest for $35,000 at the end
of the year
• Pam is a 30% partner in the PDQ partnership
• Pam’s beginning basis is $20,000• PDQ reports current income of $50,000• Pam sells her interest for $35,000 at the end
of the year
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C20 - 56
Basis Example (slide 2 of 2)Basis Example (slide 2 of 2)
With Basis Without BasisAdjustment Adjustment
Selling Price(A) $ 35,000 $ 35,000Less: Basis in interestBeginning basis 20,000 20,000Share of current income 15,000 - 0-Ending basis (B) 35,000 20,000Taxable gain (A)-(B) $ -0- $ 15,000-If no basis adjustment, Pam's $15,000 share of partnership
income is taxed twice: as ordinary income and as gain on sale of interest
With Basis Without BasisAdjustment Adjustment
Selling Price(A) $ 35,000 $ 35,000Less: Basis in interestBeginning basis 20,000 20,000Share of current income 15,000 - 0-Ending basis (B) 35,000 20,000Taxable gain (A)-(B) $ -0- $ 15,000-If no basis adjustment, Pam's $15,000 share of partnership
income is taxed twice: as ordinary income and as gain on sale of interest
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C20 - 57
Adjustments to BasisAdjustments to Basis
• Initial Basis+ Partner’s subsequent contributions to partnership+ Partner’s share of partnership:
• Debt increase• Taxable income items• Exempt income items• Depletion adjustment
- Distributions and withdrawals from partnership- Partner’s share of partnership:
• Debt decreases • Nondeductible expenses• Losses
• Initial Basis+ Partner’s subsequent contributions to partnership+ Partner’s share of partnership:
• Debt increase• Taxable income items• Exempt income items• Depletion adjustment
- Distributions and withdrawals from partnership- Partner’s share of partnership:
• Debt decreases • Nondeductible expenses• Losses
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C20 - 58
Basis LimitationBasis Limitation
• A partner’s basis in the partnership interest can never be negative
• A partner’s basis in the partnership interest can never be negative
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C20 - 59
Partnership LiabilitiesPartnership Liabilities
• Affect partner’s adjusted basis– Increase in partner’s share of liabilities
• Treated as a cash contribution to the partnership• Increases partner’s adjusted basis
– Decrease in partner’s share of liabilities• Treated as a cash distribution to the partner• Decreases partner’s adjusted basis
• Affect partner’s adjusted basis– Increase in partner’s share of liabilities
• Treated as a cash contribution to the partnership• Increases partner’s adjusted basis
– Decrease in partner’s share of liabilities• Treated as a cash distribution to the partner• Decreases partner’s adjusted basis
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C20 - 60
Allocation of Partnership Liabilities
Allocation of Partnership Liabilities
• Two types of partnership debt– Recourse debt - At least one partner is
personally liable• Allocate to partners using a “Constructive
Liquidation Scenario”
– Nonrecourse debt - No partner is personally liable
• Allocate to partners using a three-tiered allocation
• Two types of partnership debt– Recourse debt - At least one partner is
personally liable• Allocate to partners using a “Constructive
Liquidation Scenario”
– Nonrecourse debt - No partner is personally liable
• Allocate to partners using a three-tiered allocation
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C20 - 61
Constructive Liquidation Scenario
Constructive Liquidation Scenario
1.Partnership assets deemed to be worthless2.Assets deemed sold at $0; losses determined3.Losses allocated to partners under partnership agreement4.Partners with negative capital accounts deemed to
contribute cash5.Deemed contributed cash would repay partnership debt6.Partnership deemed to liquidate- Partner’s share of recourse debt = Cash contribution
used to repay debt (Step 5)
1.Partnership assets deemed to be worthless2.Assets deemed sold at $0; losses determined3.Losses allocated to partners under partnership agreement4.Partners with negative capital accounts deemed to
contribute cash5.Deemed contributed cash would repay partnership debt6.Partnership deemed to liquidate- Partner’s share of recourse debt = Cash contribution
used to repay debt (Step 5)
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Nonrecourse Debt AllocationNonrecourse Debt Allocation
• Three step allocation:1.“Minimum Gain” allocated under
regulations• Minimum gain is basically gain which would arise
on foreclosure of property2.Liability = precontribution gain allocated to
contributing partner3.Remaining debt commonly allocated by profit
sharing ratios (other allocation methods could be used)
• Three step allocation:1.“Minimum Gain” allocated under
regulations• Minimum gain is basically gain which would arise
on foreclosure of property2.Liability = precontribution gain allocated to
contributing partner3.Remaining debt commonly allocated by profit
sharing ratios (other allocation methods could be used)
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Loss Limitations (slide 1 of 2)Loss Limitations (slide 1 of 2)
• Partnership losses flow through to partners for use on their tax returns– Amount and nature of losses that may be used
by partners may be limited– Three different loss limitations apply
• Only losses that make it through all three limits are deductible by a partner
• Partnership losses flow through to partners for use on their tax returns– Amount and nature of losses that may be used
by partners may be limited– Three different loss limitations apply
• Only losses that make it through all three limits are deductible by a partner
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C20 - 64
Loss Limitations (slide 2 of 2)Loss Limitations (slide 2 of 2)
Section Description704(d) Basis in partnership interest465 At-risk limitation469 Passive loss limitation
• Limitations are applied successively to amounts which are deductible at all prior levels
Section Description704(d) Basis in partnership interest465 At-risk limitation469 Passive loss limitation
• Limitations are applied successively to amounts which are deductible at all prior levels
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Loss Limitation Example (slide 1 of 2)Loss Limitation Example (slide 1 of 2)
Meg's basis in interest $50,000
At-risk amount $35,000
Passive income, other sources $25,000
Share of partnership losses(passive) $60,000
Meg's basis in interest $50,000
At-risk amount $35,000
Passive income, other sources $25,000
Share of partnership losses(passive) $60,000
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Loss Limitation Example (slide 2 of 2)Loss Limitation Example (slide 2 of 2)
Provisions Deductible loss Suspended loss704(d) $ 50,000 $ 10,000465 35,000 15,000469 25,000* 10,000
*Amount deducted on tax return: $25,000 -passes all three loss limitations
Provisions Deductible loss Suspended loss704(d) $ 50,000 $ 10,000465 35,000 15,000469 25,000* 10,000
*Amount deducted on tax return: $25,000 -passes all three loss limitations
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Guaranteed PaymentsGuaranteed Payments
• Payment to partner for use of capital or for services provided to partnership– May not be determined by reference to
partnership income– Usually expressed as a fixed dollar amount or
as a % of capital
• Payment to partner for use of capital or for services provided to partnership– May not be determined by reference to
partnership income– Usually expressed as a fixed dollar amount or
as a % of capital
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Treatment of Guaranteed Payments (slide 1 of 2)
Treatment of Guaranteed Payments (slide 1 of 2)
• May be deducted or capitalized by partnership depending on the nature of the payment– Deductible by partnership if meets “ordinary
and necessary business expense” test – May create partnership loss
• May be deducted or capitalized by partnership depending on the nature of the payment– Deductible by partnership if meets “ordinary
and necessary business expense” test – May create partnership loss
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C20 - 69
Treatment of Guaranteed Payments (slide 2 of 2)
Treatment of Guaranteed Payments (slide 2 of 2)
• Included in income of partner – Treated as if received on last day of partnership
tax year– Character is ordinary income to recipient
partner
• Included in income of partner – Treated as if received on last day of partnership
tax year– Character is ordinary income to recipient
partner
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C20 - 70
Other Transactions Between Partner and Partnership (slide 1 of 2)
Other Transactions Between Partner and Partnership (slide 1 of 2)
• May be treated as if partner were an outsider, for example:– Loan transactions– Rental payments– Sales of property
• May be treated as if partner were an outsider, for example:– Loan transactions– Rental payments– Sales of property
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C20 - 71
Other Transactions Between Partner and Partnership (slide 2 of 2)
Other Transactions Between Partner and Partnership (slide 2 of 2)
• Timing of deduction for payment by an accrual basis partnership to a cash basis partner depends on whether payment is:– Guaranteed payment
• Included in partner’s income on last day of partnership year when accrued (even if not paid until the next year)
– Payment to partner treated as an outsider– Deduction cannot be claimed until partner includes the
amount in income
• Timing of deduction for payment by an accrual basis partnership to a cash basis partner depends on whether payment is:– Guaranteed payment
• Included in partner’s income on last day of partnership year when accrued (even if not paid until the next year)
– Payment to partner treated as an outsider– Deduction cannot be claimed until partner includes the
amount in income
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C20 - 72
Sales of PropertySales of Property
• No loss is recognized on the sale of property between a partnership and a partner who owns > 50% of partnership capital or profits– If property is subsequently sold at a gain, the
disallowed loss reduces gain recognized
• No loss is recognized on the sale of property between a partnership and a partner who owns > 50% of partnership capital or profits– If property is subsequently sold at a gain, the
disallowed loss reduces gain recognized
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C20 - 73
Distributions From A Partnership (slide 1 of 4)
Distributions From A Partnership (slide 1 of 4)
• All distributions of cash and property fall into two categories:– Liquidating distributions– Nonliquidating distributions
• Depends on whether the partner remains a partner in the partnership after the distribution
• All distributions of cash and property fall into two categories:– Liquidating distributions– Nonliquidating distributions
• Depends on whether the partner remains a partner in the partnership after the distribution
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C20 - 74
Distributions From A Partnership (slide 2 of 4)
Distributions From A Partnership (slide 2 of 4)
• A liquidating distribution occurs when either:– Partnership itself liquidates and distributes all
its property to the partners, or– Ongoing partnership redeems interest of one of
its partners• e.g., Partner retires
• A liquidating distribution occurs when either:– Partnership itself liquidates and distributes all
its property to the partners, or– Ongoing partnership redeems interest of one of
its partners• e.g., Partner retires
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C20 - 75
Distributions From A Partnership (slide 3 of 4)
Distributions From A Partnership (slide 3 of 4)
• A nonliquidating distribution is any distribution from a continuing partnership to a continuing partner– Two types of nonliquidating distributions
• Draw– Distribution of partner’s share of current or accumulated
profits • Partially liquidating distribution
– Reduces partner’s interest in partnership capital but does not liquidate partner’s interest
• A nonliquidating distribution is any distribution from a continuing partnership to a continuing partner– Two types of nonliquidating distributions
• Draw– Distribution of partner’s share of current or accumulated
profits • Partially liquidating distribution
– Reduces partner’s interest in partnership capital but does not liquidate partner’s interest
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C20 - 76
Distributions From A Partnership (slide 4 of 4)
Distributions From A Partnership (slide 4 of 4)
• Distributions from a partnership may be either:– Proportionate - Partner receives his or her share
of certain ordinary income-producing assets– Disproportionate - Partner’s share of certain
ordinary income-producing assets increases or decreases
• Distributions from a partnership may be either:– Proportionate - Partner receives his or her share
of certain ordinary income-producing assets– Disproportionate - Partner’s share of certain
ordinary income-producing assets increases or decreases
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C20 - 77
Proportionate Nonliquidating Distributions (slide 1 of 3)
Proportionate Nonliquidating Distributions (slide 1 of 3)
• Neither partner nor partnership recognizes gain or loss on proportionate nonliquidating distributions– Partner usually takes a carryover basis in assets
distributed– Basis in partnership interest is reduced by
amount of cash and basis of property distributed
• Neither partner nor partnership recognizes gain or loss on proportionate nonliquidating distributions– Partner usually takes a carryover basis in assets
distributed– Basis in partnership interest is reduced by
amount of cash and basis of property distributed
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C20 - 78
Proportionate Nonliquidating Distributions (slide 2 of 3)
Proportionate Nonliquidating Distributions (slide 2 of 3)
– Partner recognizes gain to extent cash received exceeds partner’s adjusted basis in partnership interest
– Partner cannot recognize loss in a nonliquidating distribution
– Partner recognizes gain to extent cash received exceeds partner’s adjusted basis in partnership interest
– Partner cannot recognize loss in a nonliquidating distribution
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C20 - 79
Proportionate Nonliquidating Distributions (slide 3 of 3)
Proportionate Nonliquidating Distributions (slide 3 of 3)
• Property distributions– No gain recognized on a property distribution
• If inside basis of property distributed exceeds partner’s outside basis in partnership interest, distributed asset takes substituted basis
• Assets are deemed distributed and basis applied in a certain order
• Property distributions– No gain recognized on a property distribution
• If inside basis of property distributed exceeds partner’s outside basis in partnership interest, distributed asset takes substituted basis
• Assets are deemed distributed and basis applied in a certain order
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C20 - 80
Ordering Rules For Basis Determination
Ordering Rules For Basis Determination
When basis of distributed assets exceeds partner’s basis in partnership interest, assets are deemed distributed in the following order:1. Cash2. Unrealized receivables and inventory3. All other assets
When basis of distributed assets exceeds partner’s basis in partnership interest, assets are deemed distributed in the following order:1. Cash2. Unrealized receivables and inventory3. All other assets
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C20 - 81
Proportionate Nonliquidating Distribution Examples (slide 1 of 6)
Proportionate Nonliquidating Distribution Examples (slide 1 of 6)
Bill's basis in partnership interest: $30,000 Proportionate nonliquidating distributions( independent fact situations):
A B CCash $15,000 $15,000 $ 5,000Land - basis N/A $ 6,000 N/A
(Fair mkt value) N/A $10,000 N/A Accts rec -basis N/A N/A -0-(Fair mkt value) N/A N/A $16,000
Bill's basis in partnership interest: $30,000 Proportionate nonliquidating distributions( independent fact situations):
A B CCash $15,000 $15,000 $ 5,000Land - basis N/A $ 6,000 N/A
(Fair mkt value) N/A $10,000 N/A Accts rec -basis N/A N/A -0-(Fair mkt value) N/A N/A $16,000
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C20 - 82
Proportionate Nonliquidating Distribution Examples (slide 2 of 6)
Proportionate Nonliquidating Distribution Examples (slide 2 of 6)
A B CBasis in interest $30,000 $30,000 $30,000Cash distributed ( 15,000) (15,000) (5,000) Basis after cash 15,000 15,000 25,000Acct. rec. distrib. N/A N/A (-0-)Basis after A.R. 15,000 15,000 25,000Land Distrib. N/A ( 6,000) N/ABasis after all dist. $15,000 $ 9,000 $25,000
A B CBasis in interest $30,000 $30,000 $30,000Cash distributed ( 15,000) (15,000) (5,000) Basis after cash 15,000 15,000 25,000Acct. rec. distrib. N/A N/A (-0-)Basis after A.R. 15,000 15,000 25,000Land Distrib. N/A ( 6,000) N/ABasis after all dist. $15,000 $ 9,000 $25,000
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C20 - 83
Proportionate Nonliquidating Distribution Examples (slide 3 of 6)
Proportionate Nonliquidating Distribution Examples (slide 3 of 6)
A B CBasis in p'ship int. $15,000 $9,000 $25,000Basis in cash 15,000 15,000 5,000Basis in land N/A 6,000 N/ABasis in A/R N/A N/A -0-Total basis $30,000 $30,000 $30,000
Sale of non-cash assetsat FMV: Selling price N/A $10,000 $16,000Basis N/A (6,000) (-0-)Gain N/A $4,000 $16,000
A B CBasis in p'ship int. $15,000 $9,000 $25,000Basis in cash 15,000 15,000 5,000Basis in land N/A 6,000 N/ABasis in A/R N/A N/A -0-Total basis $30,000 $30,000 $30,000
Sale of non-cash assetsat FMV: Selling price N/A $10,000 $16,000Basis N/A (6,000) (-0-)Gain N/A $4,000 $16,000
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C20 - 84
Proportionate Nonliquidating Distribution Examples (slide 4 of 6)
Proportionate Nonliquidating Distribution Examples (slide 4 of 6)
Bill's basis in partnership interest: $30,000 Proportionate nonliquidating distributions( independent fact situations):
D E FCash $40,000 N/A $20,000Relief of liabilities N/A 40,000 N/ALand -basis N/A N/A $30,000(Fair mkt value) N/A N/A $50,000
Bill's basis in partnership interest: $30,000 Proportionate nonliquidating distributions( independent fact situations):
D E FCash $40,000 N/A $20,000Relief of liabilities N/A 40,000 N/ALand -basis N/A N/A $30,000(Fair mkt value) N/A N/A $50,000
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C20 - 85
Proportionate Nonliquidating Distribution Examples (slide 5 of 6)
Proportionate Nonliquidating Distribution Examples (slide 5 of 6)
D E FBasis in interest $30,000 $30,000 $30,000Cash distributed (40,000) N/A (20,000) Relief of liabilities N/A (40,000) N/AGain recognized 10,000 10,000 N/ABasis after cash (anddeemed cash) dist. -0- -0- 10,000Land distrib. N/A N/A (10,000)Basis after all distrib. -0- -0- -0-
D E FBasis in interest $30,000 $30,000 $30,000Cash distributed (40,000) N/A (20,000) Relief of liabilities N/A (40,000) N/AGain recognized 10,000 10,000 N/ABasis after cash (anddeemed cash) dist. -0- -0- 10,000Land distrib. N/A N/A (10,000)Basis after all distrib. -0- -0- -0-
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C20 - 86
Proportionate Nonliquidating Distribution Examples (slide 6 of 6)
Proportionate Nonliquidating Distribution Examples (slide 6 of 6)
D E FBasis in p'ship int. -0- -0- -0-Basis in cash 40,000 N/A 20,000Liabilities relieved N/A 40,000 N/ABasis in land N/A N/A 10,000Gain recognized (10,000) (10,000) N/AOriginal basis 30,000 30,000 30,000Sale of non-cash assetsat FMV: Selling price N/A N/A $50,000Basis N/A N/A (10,000)Gain N/A N/A $40,000
D E FBasis in p'ship int. -0- -0- -0-Basis in cash 40,000 N/A 20,000Liabilities relieved N/A 40,000 N/ABasis in land N/A N/A 10,000Gain recognized (10,000) (10,000) N/AOriginal basis 30,000 30,000 30,000Sale of non-cash assetsat FMV: Selling price N/A N/A $50,000Basis N/A N/A (10,000)Gain N/A N/A $40,000
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C20 - 87
Basis Determination In Proportionate Nonliquidating Distribution
Basis Determination In Proportionate Nonliquidating Distribution
• When more than one asset in a class is distributed and partner’s basis in partnership interest is less than adjusted basis of assets distributed, basis of distributed assets is determined as follows:– Each distributed asset in a class initially takes a carryover basis– Then, carryover basis for each asset is reduced in proportion to
amount carryover basis > FMV• Cannot reduce below FMV
– Any remaining decrease is allocated to assets in the class in proportion to respective adjusted bases
• When more than one asset in a class is distributed and partner’s basis in partnership interest is less than adjusted basis of assets distributed, basis of distributed assets is determined as follows:– Each distributed asset in a class initially takes a carryover basis– Then, carryover basis for each asset is reduced in proportion to
amount carryover basis > FMV• Cannot reduce below FMV
– Any remaining decrease is allocated to assets in the class in proportion to respective adjusted bases
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C20 - 88
Effect of Liquidating DistributionEffect of Liquidating Distribution
• In general:– No gain or loss is recognized by partner or
partnership– Partner reduces basis in partnership interest by
basis in property received at each level using Ordering Rules
– Partner’s entire basis in interest will be absorbed by distributed assets
• In general:– No gain or loss is recognized by partner or
partnership– Partner reduces basis in partnership interest by
basis in property received at each level using Ordering Rules
– Partner’s entire basis in interest will be absorbed by distributed assets
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C20 - 89
Exceptions to Liquidating Distribution Rules (slide 1 of 2)
Exceptions to Liquidating Distribution Rules (slide 1 of 2)
• Gain is recognized if cash distributed exceeds partner’s basis in partnership interest
• Gain is recognized if cash distributed exceeds partner’s basis in partnership interest
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C20 - 90
Exceptions to Liquidating Distribution Rules (slide 2 of 2)
Exceptions to Liquidating Distribution Rules (slide 2 of 2)
• Loss is recognized only if:– Assets received include ONLY cash, unrealized
receivables and inventory, and– Outside basis exceeds partnership’s inside basis
in distributed property
• Loss is recognized only if:– Assets received include ONLY cash, unrealized
receivables and inventory, and– Outside basis exceeds partnership’s inside basis
in distributed property
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C20 - 91
Proportionate Liquidating Distribution Examples (slide 1 of 4)
Proportionate Liquidating Distribution Examples (slide 1 of 4)
Bill's basis in partnership interest: $30,000 Proportionate liquidating distributions (partnership also
liquidates) ( independent fact situations):G H I
Cash $50,000 $10,000 $10,000Unrealized rec. N/A -0- -0-(Fair mkt value) N/A $16,000 $16,000Filing cabinet (§1231) N/A N/A 300(Fair mkt value) N/A N/A 300
Bill's basis in partnership interest: $30,000 Proportionate liquidating distributions (partnership also
liquidates) ( independent fact situations):G H I
Cash $50,000 $10,000 $10,000Unrealized rec. N/A -0- -0-(Fair mkt value) N/A $16,000 $16,000Filing cabinet (§1231) N/A N/A 300(Fair mkt value) N/A N/A 300
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C20 - 92
Proportionate Liquidating Distribution Examples (slide 2 of 4)
Proportionate Liquidating Distribution Examples (slide 2 of 4)
G H IBasis in interest $30,000 $30,000 $30,000Cash distribution (50,000) (10,000) (10,000)Gain recognized 20,000 N/A N/ABasis after cash -0- 20,000 20,000A/R distrib. N/A -0- -0-Loss recognized N/A (20,000) N/ABasis after A/R -0- -0- 20,000Filing cabinet N/A N/A (20,000)Ending basis $ -0- $ -0- $ -0-
G H IBasis in interest $30,000 $30,000 $30,000Cash distribution (50,000) (10,000) (10,000)Gain recognized 20,000 N/A N/ABasis after cash -0- 20,000 20,000A/R distrib. N/A -0- -0-Loss recognized N/A (20,000) N/ABasis after A/R -0- -0- 20,000Filing cabinet N/A N/A (20,000)Ending basis $ -0- $ -0- $ -0-
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C20 - 93
Proportionate Liquidating Distribution Examples (slide 3 of 4)
Proportionate Liquidating Distribution Examples (slide 3 of 4)
G H IBasis in p'ship int. $ -0- $ -0- $ -0-Basis in cash 50,000 10,000 10,000 Basis in A/R N/A -0- -0-Basis in filing cabinet N/A N/A 20,000Capital (Gain)/loss (20,000) 20,000 N/AOriginal basis $30,000 $30,000 $30,000
G H IBasis in p'ship int. $ -0- $ -0- $ -0-Basis in cash 50,000 10,000 10,000 Basis in A/R N/A -0- -0-Basis in filing cabinet N/A N/A 20,000Capital (Gain)/loss (20,000) 20,000 N/AOriginal basis $30,000 $30,000 $30,000
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Proportionate Liquidating Distribution Examples (slide 4 of 4)
Proportionate Liquidating Distribution Examples (slide 4 of 4)
Sale of non-cash assets at FMV:Example H: A/R Fil.Cab. Total
Selling price $16,000 N/A $16,000Basis -0- N/A -0-Gain/(loss) $16,000 N/A $16,000
(Ordinary)Example I:
Selling price $16,000 $ 300 $16,300Basis -0- 20,000 20,000Gain/(loss) $16,000 ($19,700) ($3,700)
(Ordinary) (May be ord)
Sale of non-cash assets at FMV:Example H: A/R Fil.Cab. Total
Selling price $16,000 N/A $16,000Basis -0- N/A -0-Gain/(loss) $16,000 N/A $16,000
(Ordinary)Example I:
Selling price $16,000 $ 300 $16,300Basis -0- 20,000 20,000Gain/(loss) $16,000 ($19,700) ($3,700)
(Ordinary) (May be ord)
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Sale Of Partnership Interest (slide 1 of 4)
Sale Of Partnership Interest (slide 1 of 4)
• Generally, results in gain or loss recognition by selling partner– Gain(loss) = amount realized less partner’s
basis in partnership interest– Partnership liabilities assumed by purchasing
partner are treated as part of consideration paid for the partnership interest
• Generally, results in gain or loss recognition by selling partner– Gain(loss) = amount realized less partner’s
basis in partnership interest– Partnership liabilities assumed by purchasing
partner are treated as part of consideration paid for the partnership interest
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Sale Of Partnership Interest (slide 2 of 4)
Sale Of Partnership Interest (slide 2 of 4)
• Partnership tax year closes for that partner on sale date– Partner’s share of income through sale date is
calculated• Can prorate annual income or use interim closing of
the books
– Taxed to selling partner and increases basis in partnership interest
• Partnership tax year closes for that partner on sale date– Partner’s share of income through sale date is
calculated• Can prorate annual income or use interim closing of
the books
– Taxed to selling partner and increases basis in partnership interest
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Sale Of Partnership Interest (slide 3 of 4)
Sale Of Partnership Interest (slide 3 of 4)
• Effect of hot assets– Hot assets include:
• Unrealized receivables (same as for disproportionate distributions)
• Inventory– Includes all partnership property except money, capital
assets, and §1231 assets
• Effect of hot assets– Hot assets include:
• Unrealized receivables (same as for disproportionate distributions)
• Inventory– Includes all partnership property except money, capital
assets, and §1231 assets
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Sale Of Partnership Interest (slide 4 of 4)
Sale Of Partnership Interest (slide 4 of 4)
• Effect of hot assets (cont’d)– Must allocate sales price of partnership interest
between “hot” (ordinary income) assets and “nonhot” (capital gain) components
– Selling partner’s gain is classified as a capital gain or loss portion and an ordinary income or loss amount related to the hot assets
• Effect of hot assets (cont’d)– Must allocate sales price of partnership interest
between “hot” (ordinary income) assets and “nonhot” (capital gain) components
– Selling partner’s gain is classified as a capital gain or loss portion and an ordinary income or loss amount related to the hot assets
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If you have any comments or suggestions concerning this PowerPoint Presentation for West's Federal Taxation, please contact:
Dr. Donald R. Trippeer, CPA [email protected]
Colorado State University-Pueblo
If you have any comments or suggestions concerning this PowerPoint Presentation for West's Federal Taxation, please contact:
Dr. Donald R. Trippeer, CPA [email protected]
Colorado State University-Pueblo