take no prisoners captive insurance co presentation

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KAREN S. KURTZ, ESQ. (404) 863-8225 [email protected] J. SCOT KIRKPATRICK, ESQ. (404) 658-5421 [email protected] T T AKE AKE N N O O P P RISONERS: RISONERS: P P ITFALLS ITFALLS A A ND ND P P OSSIBILITIES OSSIBILITIES W W ITH ITH C C APTIVE APTIVE I I NSURANCE NSURANCE C C OMPANIES OMPANIES September 29, 2010 September 29, 2010

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This presentation focuses on Captive Insurance Companies and their use in business, estate and asset protection planning

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Page 1: Take No Prisoners Captive Insurance Co Presentation

KAREN S. KURTZ, ESQ.

(404) 863-8225

[email protected]

J. SCOT KIRKPATRICK, ESQ.

(404) 658-5421

[email protected]

TTAKEAKE NNOO PPRISONERS:RISONERS:

PPITFALLSITFALLS AANDND PPOSSIBILITIESOSSIBILITIES WWITHITHCCAPTIVEAPTIVE IINSURANCENSURANCE CCOMPANIESOMPANIES

September 29, 2010September 29, 2010

Page 2: Take No Prisoners Captive Insurance Co Presentation

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IntroductionIntroduction

With the prospect of very significant tax increases on the horizon, the Captive Insurance Company is being touted as one of the

best solutions for business owners to the impending avalanche of taxes Washington may unleash.

Even without the tax advantages, the captive is an excellent business planning vehicle.

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Page 3: Take No Prisoners Captive Insurance Co Presentation

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What is a Captive?What is a Captive?

• A licensed insurance company formed by a business owner to insure the risks of related or affiliated businesses.

• A captive permits a business to manage its risks while potentially providing substantial benefits to that related business.

• Captives provide an opportunity to insure against liabilities that are generally uninsurable or hard to insure

• Over 50% of the Fortune 1500 have captives

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Page 4: Take No Prisoners Captive Insurance Co Presentation

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Why Consider a Captive?Why Consider a Captive?

• Manage risks• Premiums received by captive are invested rather than “lost”• May issue property and/or casualty insurance coverage against

wide variety of possible liabilities• Insure against commercially unavailable or unaffordable

liabilities• Access to reinsurance market• Limited tax benefits• Potential estate planning opportunity

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Page 5: Take No Prisoners Captive Insurance Co Presentation

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Who is a Good Candidate for a Captive?Who is a Good Candidate for a Captive?

• Businesses with uninsured risks• Businesses with a history of low insured losses• Profitable Companies • Clients willing to undertake the cost and management of the

formation and administration of the captive

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Page 6: Take No Prisoners Captive Insurance Co Presentation

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Types of Insurable RisksTypes of Insurable Risks

Insured Risks• Workers’ Comp• General Liability• Health Insurance• Auto• Collision• Professional Liability• Errors & Omissions• Directors & Officers• Builder’s Risk

Retained Risks• Deductibles• Construction Defects• Loss of Key Customer• Loss of Key Employee• Loss of Key Supplier• Administrative Action• Litigation• Policy Exclusions• Contract Claims

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Page 7: Take No Prisoners Captive Insurance Co Presentation

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ReinsuranceReinsuranceCaptives can purchase reinsurance to protect against risks.

• "Reinsurance" can be thought of as a means by which an insurer transfers some or all of the risk under a policy of insurance to another insurer or insurers.

• For example, a captive may only want to be exposed to $500,000 per general liability claim. As a way to limit its exposure, it could purchase reinsurance to pay 50% or all of a claim exceeding $500,000

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Page 8: Take No Prisoners Captive Insurance Co Presentation

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Tax Considerations of a CaptiveTax Considerations of a Captive

• Definition of “Insurance Company” – More than half of the business during the taxable year is derived from issuing insurance or annuity contracts or reinsuring risks. I.R.C. §§ 816(a), 831(c).

• Must be a “C” corporation for U.S. income tax purposes– Treated as a per se corporation

• Life Insurance Company vs. Property and Casualty Insurance Company– Mean life reserves must not exceed 50% of total reserves to be

property and casualty insurance company– Property and casualty insurance companies follow rules of a C

corporation with only certain exceptions

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Page 9: Take No Prisoners Captive Insurance Co Presentation

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Small v. Large CaptivesSmall v. Large Captives

• Large Captives– No limitation on premiums received– Must establish a reserve deduction actuarially

• Small Captives– Premiums received limited to $1.2 million or less per year– Election must be made to be treated as small captive under I.R.C.

§ 831(b) by attaching statement of election to Form 1120-PC.• Election is not revoked unless the Service consents or upon

premiums exceeding $1.2 million in a year– Exempt from income tax on first $1.2 million of premiums

received

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Page 10: Take No Prisoners Captive Insurance Co Presentation

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Taxation of Small CaptivesTaxation of Small Captives

• Deduction by operating company purchasing insurance– Ordinary and necessary business expense under Code §

162• Premiums up to $1.2 million exempt from income tax for

captive– Under Code § 831(b)

• Owners of a small captive are taxed on dividends received from company.

• Investment income of a small captive is taxed at both the captive level and shareholder level.

• If a small captive does not make an election under Code §831(b) it will be taxed under Code § 831(a).

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Page 11: Take No Prisoners Captive Insurance Co Presentation

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What is Insurance?What is Insurance?Insurance provided must involve fortuity or uncertainty, risk shifting

and risk distribution.

• Risk Shifting– Actual transfer of risk from insured to the captive– Position supported by Service until recently – Economic Family

Doctrine– Economic Family Doctrine later rejected by Courts for Balance Sheet

Test• Risk Distribution

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Page 12: Take No Prisoners Captive Insurance Co Presentation

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Economic Family DoctrineEconomic Family Doctrine

• Risk must be transferred outside of economic family to be true insurance – Rev. Rul. 77-316– Parent-child captive structure and brother-sister captive

structure not permitted under this approach

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Page 13: Take No Prisoners Captive Insurance Co Presentation

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ParentParent--Child Captive StructureChild Captive Structure

Operating Company

Subsidiary Company A

SubsidiaryCaptive Insurance

Company

Subsidiary Company B

PREMIUMS INSURANCEPOLICIES

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Page 14: Take No Prisoners Captive Insurance Co Presentation

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BrotherBrother--Sister Captive StructureSister Captive Structure

Operating Company

Subsidiary Company A

SubsidiaryCaptive Insurance

Company

Subsidiary Company B

PREMIUMS INSURANCEPOLICIES

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Page 15: Take No Prisoners Captive Insurance Co Presentation

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Rejection of the Economic Family DoctrineRejection of the Economic Family Doctrine

• Carnation Company v. Commissioner, 640 F.2d 1010 (9th Cir. 1981) and Clougherty Packing Co. v. Commissioner, 84 T.C. 948 (1985)

– Relied on the Balance Sheet Test but did not explicitly reject Economic Family Doctrine

• Humana, Inc. v. Commissioner, 881 F.2d 247 (6th Cir. 1989)– Explicitly rejected Economic Family Doctrine– Allowed brother-sister captive structure, but not parent-child

• Harper Group v. Commissioner, 979 F.2d 1341 (9th Cir. 1992)– Premiums paid by BOTH parent and subsidiaries deductible if

approximately 30% of premiums from third party insureds

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Page 16: Take No Prisoners Captive Insurance Co Presentation

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Balance Sheet TestBalance Sheet Test

• Company will be allowed to deduct premiums paid only if there will be a net change on the company’s balance sheet when the loss is paid– Does not allow deductions by companies that are too closely

related– Allows brother-sister captive structure– Does not allow parent-child captive structure unless there are a

sufficient number of third party insureds

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Page 17: Take No Prisoners Captive Insurance Co Presentation

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Service Gives UpService Gives Up

• Rev. Rul. 2001-31– Service stated that it would no longer raise economic

family doctrine– Service will use case-by-case analysis to challenge risk

shifting and risk distribution– Will carefully scrutinize capitalization and parental

guarantees

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Page 18: Take No Prisoners Captive Insurance Co Presentation

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Safe Harbor RulingsSafe Harbor Rulings• Rev. Rul. 2002-89

– 50% of premiums from unrelated businesses paid to subsidiary captive are sufficient for risk shifting/distribution

– 10% of total premiums from unrelated business is not enough• Rev. Rul. 2002-90

– 12 subsidiaries, with no more than 15% and no less than 5% of total risk insured, enough for risk shifting/distribution

• Rev. Rul. 2005-40– 12 subsidiary test satisfied if all insureds have common owner

provided that each entity was nondisregarded entity

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Page 19: Take No Prisoners Captive Insurance Co Presentation

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Safe Harbor RulingsSafe Harbor Rulings

• TAM 200816029– Limited partnerships with a common general partner will

not be treated as separate entities– Much disputed decision

• Rev. Rul. 2009-26– When determining risk shifting/distribution in reinsurance

contract, risks of ultimate insured must be examined– Primary (underlying) insurance policy

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Page 20: Take No Prisoners Captive Insurance Co Presentation

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Risk DistributionRisk Distribution• Rev. Rul. 2002-91

– A distribution of risk allows an insurer to reduce the possibility that single claim will exceed premiums received.

– The pooling of premiums is necessary to reduce the potential that a related insured is paying for its own risks and obtaining tax deduction.

• Unrelated business creates sufficient risk distribution– No floor, but 2% not enough, and 30% is enough

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Page 21: Take No Prisoners Captive Insurance Co Presentation

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Risk Distribution PoolsRisk Distribution Pools

• Formed for exchange of insurance business among captives to spread risk and enhance participation in non-related business

• Combines the investments of many captives into single account held by a reinsurance company– Risk transferred from individual captive through quota share of

reinsurance agreement– Contract issued between reinsurance company and each captive for

reinsurance company to retain funds in trust account for a certain period

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Page 22: Take No Prisoners Captive Insurance Co Presentation

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Structure and Formation of CaptivesStructure and Formation of Captives– Insurance audit/Feasibility study– Determine Type of Captive– Income Tax Considerations– Corporate Formation and Place of Domicile– Capitalization– Management– Shareholders– Underwriting/Development of Policies– Insurance Certificate– Bank Account– Reporting Requirements– Investment Restrictions– Captive Regulatory Management

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Page 23: Take No Prisoners Captive Insurance Co Presentation

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Insurance Audit/Feasibility Study Insurance Audit/Feasibility Study

• Audit existing insurance coverages– Determine what risks should be retained and what risks

should be transferred.– Determine if a risk should be retained, or retained to a

certain amount with reinsurance on any claims higher than that amount.

– Audit business risk insurance coverages in relation to the risks the business faces.

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Page 24: Take No Prisoners Captive Insurance Co Presentation

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Determine the Type of CaptiveDetermine the Type of Captive

• This outline primarily targeted at “pure captive”• Pure captive is most simplistic form of captive and is

common format for small captives • Other Types of Captives

– Association Captive– Group Captive– Agency Captive– Rent-a-Captive– Protected Cell Captive

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Page 25: Take No Prisoners Captive Insurance Co Presentation

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Pure Captive DesignPure Captive Design

Shareholder(s)(Same or Related Owners)

Captive Insurance Company

Insurance Policies issued to Operating

Business and Related Entities

Premiums paid to Captive

Client’s Operating Business & Entities

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Page 26: Take No Prisoners Captive Insurance Co Presentation

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Income Tax ConsiderationsIncome Tax Considerations

• Is a large or small captive appropriate?• Onshore captive must obtain United States Employer

Identification Number (EIN) from Service.• Offshore captive must determine whether Code § 953(d)

election should be made to treat captive as U.S. taxpayer– If election made, must obtain EIN from Service

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Page 27: Take No Prisoners Captive Insurance Co Presentation

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Corporate Formation and Place of Domicile Corporate Formation and Place of Domicile –– Offshore v. Onshore Offshore v. Onshore

• Offshore– Caribbean nations have relaxed standards such as lower

capitalization requirements – Sometimes not as responsive or accommodating – Accessibility of government agencies substantially limited

• Onshore– Some domestic jurisdictions have recently become more

accommodating to captive owners– Larger capitalization requirements

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Page 28: Take No Prisoners Captive Insurance Co Presentation

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CapitalizationCapitalization

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• To obtain an insurance license, a captive is required to have a minimum amount of capital.

• Beware of “Thin Capitalization.”• Capitalization requirements vary among jurisdictions.• Onshore jurisdictions generally have higher capitalization

requirements than offshore jurisdictions.

Page 29: Take No Prisoners Captive Insurance Co Presentation

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Management Management –– Officers and DirectorsOfficers and Directors

• It is recommended that management company be engaged to handle captive operations.

• The members of management company may also serve as most of officers and directors of captive.

• Owners or representatives of the captive may consider having a limited role in the management of the company.

• Limiting client or client representative involvement in management and operations of offshore captive may limit requirement to file certain tax returns (inc. state income tax returns)

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Page 30: Take No Prisoners Captive Insurance Co Presentation

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ShareholdersShareholders

• May be individuals, business, or trust• Estate planning opportunities arise if a trust set up for the

business owner’s descendants captive. This concept will be discussed in detail later in this presentation.

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Page 31: Take No Prisoners Captive Insurance Co Presentation

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Other ConsiderationsOther Considerations

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• Insurance Certificate– Must obtain one or more insurance licenses in appropriate jurisdiction – Consideration must be given to type of insurance captive will issue to

ensure appropriate licenses obtained• i.e. workers’ compensation insurance or medical insurance

• Underwriting and Development of Policies– Actuary often used to review type and amount of insurance that will be

issued to operating company

Page 32: Take No Prisoners Captive Insurance Co Presentation

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Other ConsiderationsOther Considerations

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• Bank Account– Separate bank account should be opened for captive– Account may be opened in the United States regardless of whether

the captive is an onshore or offshore entity.• Reporting Requirements

– Depending upon the jurisdiction in which a captive is organized,there may be local reporting requirements.

• Investment Restrictions– Restrictions exist for how premiums paid to captive may be invested.

For example, many jurisdictions require a captive to maintain reserves equal to 30% of the premiums it writes in a year, and such reserves may be held in cash, money market funds, or government bonds or CDs with terms of 90 days or less.

Page 33: Take No Prisoners Captive Insurance Co Presentation

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Captive Regulatory ManagementCaptive Regulatory Management

• Regulatory management of captives should include:(i) Insurance company accounting and records(ii) Regulatory filing and reporting(iii) Quarterly financials(iv) Annual captive efficiency review(v) Liaison with investment manager, tax preparer,

auditor, and regulatory body• Captive management company can assist in processing

claims.

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Page 34: Take No Prisoners Captive Insurance Co Presentation

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Exit StrategiesExit Strategies

• Creating captive is time and cost intensive, a client should not expect to immediately pull funds out of a captive.

• Exiting a captive should only be done after determination by experienced professionals that continuation of captive is not in client’s best interest.

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Page 35: Take No Prisoners Captive Insurance Co Presentation

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Potential IRS ChallengesPotential IRS Challenges

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• Legitimate Business Reason for Forming Captive• Payment of Excessive Premiums to Captive• Role of Life Insurance in Captive• Loan-Backs• Thin Capitalization

Page 36: Take No Prisoners Captive Insurance Co Presentation

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Legitimate Business PurposeLegitimate Business Purpose• Captive must possess a legitimate business reason to

avoid being characterized as a sham by the Service• Legitimate Business Reasons

– To obtain coverage where insurers are unwilling to do so– To reduce premium payments– To control risk– To increase cash-flow– To gain access to reinsurance market– To create diversification– To balance coverage– Tax planning (Rev. Rul. 2001-31)

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Page 37: Take No Prisoners Captive Insurance Co Presentation

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Excessive PremiumsExcessive Premiums• Code § 162(a) – insurance premiums paid by taxpayer are

deductible if connected directly with taxpayer’s trade or business– Must be ordinary and necessary business expense

• Challenges on two grounds– Taxpayer is paying premiums that are too high for

amount of insurance he is receiving– Taxpayer is suddenly obtaining a significantly higher and

unnecessary amount of insurance

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Page 38: Take No Prisoners Captive Insurance Co Presentation

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Excessive Premiums Excessive Premiums –– Reliable Actuarial MethodReliable Actuarial Method

• Gulf Oil Corp. v. Commissioner, 89 T.C. 1010 (1987)– Premiums charged by captive and amount of insurance provided by

captive must be based on reliable actuarial estimation of risk of loss– If premiums consistently in great excess of actual losses paid,

indicator that:• Taxpayer could be attempting to evade taxes by taking advantage of

Code § 831(b) exclusion OR• Company could be retaining risk and captive is not providing insurance

• Non Docketed Service Advice Review, 2002 I.R.S. N.S.A.R. 20160– If a captive charges exactly $1.2 million in premiums, it suggests

that actuarial method was not used and captive is tax fraud

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Page 39: Take No Prisoners Captive Insurance Co Presentation

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Consequences of Excessive PremiumsConsequences of Excessive Premiums

• Premium-paying company will lose income deduction– Most likely have to pay interest and penalties

• Captive may have taxable income• Gift Tax Issues

– If captive is owned by business owner’s descendants or trusts then transfer may be subject to gift tax

– If no gift tax return was filed, may be subject to failure to file penalties also

– Client may consider filing gift tax return (Form 709) every year a premium is paid to the captive

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Page 40: Take No Prisoners Captive Insurance Co Presentation

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Avoiding Excessive PremiumsAvoiding Excessive Premiums

• To avoid determination that premiums paid are excessive and increase amount of deduction available, company can attempt to find insurable risks for which third party insurance is not commercially available or not commercially affordable

• Risk must have some degree of fortuity or uncertainty• Getting more insurance so can justify paying higher premiums

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Page 41: Take No Prisoners Captive Insurance Co Presentation

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Life InsuranceLife Insurance

• Should not be primary asset owned by captive• Excessive amounts of life insurance inside captive can trigger

Service to challenge captive structure as attempt to deduct lifeinsurance premiums

• No income tax deductions for life insurance premiums paid• Purchase must be for a significant non-tax purpose• When life insurance is not primary asset of captive, but minority

portion of diversified investment portfolio, likelihood of successful challenge by Service is significantly reduced

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Page 42: Take No Prisoners Captive Insurance Co Presentation

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LoanLoan--BacksBacks• Used to invest captive funds back into operating business and

usually takes form of bond issuance (fundamentally no different than a loan)

• Limited guidance on loan-backs and no objective standard to determine whether will be considered bona fide indebtedness

• Often analyzed in loan-back to premiums paid ratio– If significant portion of premiums paid are borrowed, concerns

of circular cash flow arise• Service determined loan-back invalid where a captive loaned 97.5%

of assets to operating business – FSA 200202002 (September 28, 2001)

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Page 43: Take No Prisoners Captive Insurance Co Presentation

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Estate Planning Benefits of CaptiveEstate Planning Benefits of Captive• Captive owned by trust for benefit of spouse and/or

descendants may create substantial estate planning benefits– Captive should not be includible in business owner’s taxable

estate and should not be subject to creditor’s claims• Captive can be initially formed by trust or trust may

gain ownership of captive through gift or sale– Gift or sale of any portion of a captive must be disclosed on a

Form 709 Gift Tax Return

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Page 44: Take No Prisoners Captive Insurance Co Presentation

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Case Study Case Study

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• A high net worth client owns successful retain sales operations (multiple companies) in the United States. The client desires to maintain control of the family business, for now, while better protecting his investment in the family businesses and planning for the efficient transfer of his business and wealth to future generations of family members.

• Client creates offshore captive insurance company, taxable as U.S. corporation by making a Code § 953(d) election. – Provides critical and cost effective business insurance coverage to the

client’s principal U.S. businesses– Captive is owned by a separate dynasty trust created by client for

benefit of his spouse and descendants

Page 45: Take No Prisoners Captive Insurance Co Presentation

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Formation of Captive Insurance CompanyFormation of Captive Insurance Company

Irrevocable “Defective” Grantor

Trust

100% Shareholder

Captive Insurance Company

Captive Insurance Company

Details• Corporation formed in offshore jurisdiction.

• Taxed as a U.S. Corporation

• Insures affiliates.

• Formed to insure key men, litigation expenses, business losses, etc.

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Page 46: Take No Prisoners Captive Insurance Co Presentation

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Case StudyCase Study• As insurance premiums paid by client’s business to Captive,

businesses benefit– Enhanced liability protection from boarder insurance coverage– Reduced insurance costs for certain types of coverage– Significant ancillary tax benefits– Captive can grow and accumulate substantial wealth if premium

revenues exceed claims and expenses paid over time– Wealth accumulation will inure to benefit of client’s spouse and

descendants since captive is wholly owned by the trust created for their benefit

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Page 47: Take No Prisoners Captive Insurance Co Presentation

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Premiums Paid to Captive Insurance CompanyPremiums Paid to Captive Insurance Company

Affiliates

Irrevocable “Defective”Grantor Trust

100% Shareholder

Captive Insurance Company

$1.2 Million in premiums paid to Insurance Company

($1.2 Million Reserve

Deduction)

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Page 48: Take No Prisoners Captive Insurance Co Presentation

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Case StudyCase Study

• The $1.2 million in premiums is paid to the captive year after year. After a few years of premiums, we can assume that the captive has $5.0 million in assets.

• To facilitate efficient transfer of business interests to descendants, client creates dynasty irrevocable “defective”grantor trust for benefit of spouse and descendants, recapitalizes his companies by issuing voting and nonvoting common stock and then gives and sells nonvoting common stock to trust in exchange for cash and promissory notes. Importantly, the value of the stock sold should be reduced since the premiums reduce the net operating income of the business.

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Page 49: Take No Prisoners Captive Insurance Co Presentation

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220 V 21,780 NV

2 V 198 NV

970 V 96,030 NV

20 V 1,980 NV

Business Structure Following Recapitalization

My Co., Inc. My Other Corp.

Taxpayer

Taxpayer's Children

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Page 50: Take No Prisoners Captive Insurance Co Presentation

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Gift and Sale of 11,100 NV Shares of My Co., Inc.

Taxpayer’s Gift and Sale of Nonvoting Stock to Trust I

Taxpayer

Taxpayer

Irrevocable Trust I

Gift and Sale of 49,500 NV Shares of M y O ther Corp.

Promissory Note for My Co., Inc. Shares

Prom issory Note for M y Other Corp. Shares

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Page 51: Take No Prisoners Captive Insurance Co Presentation

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Case StudyCase Study

• By engaging in these preliminary transactions, client ensured that future growth of family businesses will inure to primary benefit of his descendants, but client maintains current controlof businesses through retention of voting common stock.

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Page 52: Take No Prisoners Captive Insurance Co Presentation

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2 V 198 NV

20 V 1,980 NV

Current Business Structure

M y Co., Inc. M y O ther Corp.

Taxpayer's C hildren

220 V 10,680 NV

970 V 46,530 NV

Taxpayer

Taxpayer Irrevocable Trust I

49,500 NV11,100 NV

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Page 53: Take No Prisoners Captive Insurance Co Presentation

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Case StudyCase Study• Client has enhanced business and estate planning, efficiently

transferred wealth during lifetime to his family, maintained control of and better protected his businesses, saved income taxes and facilitated growth of new business by making insurance premium payments to a company that is already owned, effectively, by the next generation

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Page 54: Take No Prisoners Captive Insurance Co Presentation

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ConclusionConclusion

• Clients should enter into the captive insurance company realm with their “eyes wide open”

• Professionals should be utilized in the creation and maintenanceof a captive insurance company to ensure that Internal Revenue Service requirements are met

• When done properly, a captive insurance company can be an invaluable planning tool for many clients

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Page 55: Take No Prisoners Captive Insurance Co Presentation

• The information contained in this presentation is for illustration purposes only and not intended to be formal tax or legal advice.

• The rules imposed by IRS Circular 230 require us to state that, unless it is expressly stated, any opinions expressed with respect to a significant tax issue are not intended or written by the practitioner to be used, and cannot be used by the recipient, for the purpose of avoiding penalties that may be imposed on the recipient or any other person who may examine this correspondence in connection with a Federal tax matter.

DisclaimersDisclaimers

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