IPPTChap 010
IPPTChap 010
IPPTChap 010
Property Dispositions
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Learning Objectives
1. 2. 3. 4.
5. 6.
Calculate the amount of gain or loss recognized on the disposition of assets used in a trade or business Describe the general character types of gain or loss recognized on property dispositions Explain the rationale for and calculate depreciation recapture Describe the tax treatment of unrecaptured 1250 gains and determine the character of gains on property sold to related parties Describe the tax treatment of 1231 gains or losses, including the 1231 netting process Explain common exceptions to the general rule that realized gains and losses are recognized currently
10-2
Dispositions
Amount Realized
Amount realized by a taxpayer from the sale or other disposition of an asset is everything of value received from the buyer less any selling costs Taxpayers typically receive cash when they sell property, they may also accept marketable securities, notes receivable, similar assets, or any combination of these items as payment
10-3
Scrap-Happy Inc., a scrapbooking retail chain, owns a warehouse which is subject to a $50,000 mortgage. A manufacturing company offers to purchase the warehouse for $15,000 cash and a $30,000 note receivable, as well as assume the mortgage. If Scraphappy accepts this offer, and pays $1,500 in selling expenses, what is the amount realized?
Answer:
50,000 liability assumed + 15,000 cash + 30,000 note receivable 1,500 selling expenses $ 93,500 Amount Realized
10-4
Dispositions
Adjusted Basis
Original basis reduced by depreciation or other types of cost recovery deductions taken against the property
10-5
Scrap-Happy owns a computer (5-yr MACRS recovery period), which it purchased 2 years ago for $1,200. For financial statement purposes, the computer is depreciates over 3 years using the half-year convention and straight-line method, with no salvage value. What is the adjusted book and tax bases for the computer (after 2 years of depreciation)?
Answer:
10-6
Dispositions
The amount of gain or loss taxpayers realize on a sale or other disposition of assets is simply the amount they realize minus their adjusted basis in the disposed assets
10-7
Example
Scrap-Happy sells the computer in the previous example (adjusted tax basis = $576) for $400. What is the realized gain or (loss) on the sale?
10-8
Dispositions
10-9
Dispositions
10-10
Dispositions
Gains (losses) that increase (decrease) taxpayers gross income Taxpayers must immediately recognize the vast majority of realized gains and losses, they may be allowed to permanently exclude the gains from taxable income
10-11
10-12
Ordinary Assets
Assets created or used in a taxpayers trade or business Business assets held for less than a year Example Inventory, Accounts Receivable, Machinery and Equipment If taxpayers sell ordinary assets at a gain, they recognize an ordinary gain that is taxed at ordinary rates If taxpayers sell ordinary assets at a loss, they deduct the loss against other ordinary income
10-13
Capital Assets
Assets held for investment, for the production of income, or for personal use Qualification as capital asset depends on the purpose for which taxpayers uses the assets Both individual and corporate taxpayers prefer capital gains to ordinary income
10-14
10-15
1231 Assets
Depreciable assets and land used in a trade or business held for more than one year If the taxpayer recognizes a net 1231 gain, the net gain is treated as a long-term capital gain If the taxpayer recognizes a net 1231 loss, the net loss is treated as an ordinary loss 1231 gains on individual depreciable assets may be recharacterized as ordinary income under the depreciation recapture rules
10-16
Depreciation Recapture
Potentially applies to gains (not losses) on the sale of depreciable or amortizable business property When applied, it recharacterizes the gain on the sale of a 1231 asset Does not affect 1231 losses Computation depends on the type of 1231 assets the taxpayer is selling (personal or real property) Changes only the character but not the amount of gain that taxpayers recognize when they sell a depreciable asset
10-17
Depreciation Recapture
10-18
Depreciation Recapture
1245 Property
Personal property and amortizable intangible assets are 1245 assets The lesser of
gain recognized or accumulated depreciation is recaptured (characterized) as ordinary income under 1245
Any remaining gain is 1231 gain There is no depreciation recapture on assets sold at a loss
10-19
Depreciation Recapture
When taxpayers sell or dispose of 1245 property, they encounter one of the following three scenarios of gain or loss
recognize a gain created solely through depreciation deductions recognize a gain created through both depreciation deductions and actual asset appreciation recognize a loss
10-20
Depreciation Recapture
21 10-21
1231 ASSETS:
Scrap-Happy sells a machine with an adjusted basis of $6,000 for $10,000. Depreciation taken on the machine amounts to $2,500. What amount of gain is recaptured as ordinary and what amount is 1231 gain?
Answer:
$10,000 Selling price 6,000 Adjusted basis $4,000 Gain realized Depreciation recapture = Lesser of:
Depreciation recapture (ordinary income) = $2,500 1231 gain (capital gain) = $4,000 Gain realized 2,500 Depreciation recapture $1,500 1231 gain
10-22
Depreciation Recapture
Depreciable real property (an office building or a warehouse), sold at a gain is subject to recapture called 1250 depreciation recapture A modified version of the recapture rules called 291 depreciation recapture applies to corporations but not to other types of taxpayers
291, corporations selling depreciable real property recapture as ordinary income 20 percent of the lesser of the recognized gain or the accumulated depreciation
10-23
Depreciable real property sold at a gain is 1250 property, but is no longer subject to 1250 recapture The gain that would be 1245 recapture if the asset were 1245 property is called unrecaptured 1250 gain Unrecaptured 1250 gain is 1231 gain that, if ultimately characterized as a long-term capital gain, is taxed at a maximum rate of 25 percent
10-24
All gain recognized from selling property i.e., a depreciable asset to a related-party buyer is ordinary income Seller is required to recognize ordinary income for depreciation deductions the buyer will receive in the future The tax laws are designed to provide symmetry between the character of deductions an asset generates and the character of income the asset generates when it is sold
10-25
Includes family relationships including siblings, spouses, ancestors, and lineal descendants Also includes an individual and a corporation if the individual owns more than 50 percent of the stock of the corporation, a partnership and any of its partners, and an S corporation and any of its shareholders
10-26
accelerating losses into year 1 deferring gains until year 2 characterizing the gains and losses due to the 1231 netting process A nondepreciation recapture rule Affects the character but not the amount of gains on which a taxpayer is taxed
10-27
Gains and losses from individual asset dispositions are annually netted together Net 1231 gains may be recharacterized as ordinary income under the 1231 look-back rule
10-28
10-29
10-30
10-31
Nonrecognition Transactions
Like-Kind Exchanges
For an exchange to qualify as a like-kind exchange for tax purposes, the transaction must meet the following three criteria
The property is exchanged solely for like-kind property. Both the property given up and the property received in the exchange by the taxpayer are either used in a trade or business or are held for investment, by the taxpayer The exchange must meet certain time restrictions
10-32
Nonrecognition Transactions
Real Property
Used in a trade or business or held for investment is considered like-kind with other real property used in a trade or business or held for investment Considered like-kind if it has the same general use and is used in a business or held for investment
Personal Property
10-33
Nonrecognition Transactions
Includes inventory, most financial instruments, partnerships interests, domestic property exchanged for property used in a foreign country and all property used in a foreign country
Like-kind property exchanges may involve intermediaries Taxpayers must identify replacement like-kind property within 45 days of giving up their property
10-34
Nonrecognition Transactions
Like-kind property must be received within 180 days of when the taxpayer transfers property in a like-kind exchange
10-35
Nonrecognition Transactions
Tax Consequences When Like-Kind Property Is Exchanged Solely for Like-Kind Property Tax Consequences of Transfers Involving Like-Kind and Non-Like-Kind Property (Boot)
Non-like-kind property is known as boot When boot is given as part of a like-kind transaction:
The asset received is recorded in two parts: property received in exchange for like-kind property and property received in a sale (bought by the boot)
10-36
Nonrecognition Transactions
Boot received usually creates recognized gain Gain recognized is lesser of gain realized or boot received
The basis of boot received is the fair market value of the boot
10-37
Nonrecognition Transactions
Involuntary Conversions
Gain is deferred when appreciated property is involuntarily converted in an accident or natural disaster Basis of property directly converted is carried over from the old property to the new property In an indirect conversion, gain recognized is the lesser of: Gain realized, or Amount of reimbursement the taxpayer does not reinvested in qualified property Qualified replacement property must be of a similar or related use to the original property
10-38
Nonrecognition Transactions
Installment Sales
Sale of property where the seller receives the sale proceeds in more than one period Must recognize a portion of gain on each installment payment received
Inventory, marketable securities, and depreciation recapture cannot be accounted for under installment sale rules Does not apply to losses
10-39
Nonrecognition Transactions
Tax laws essentially treat related parties as though they are the same taxpayer Related parties are defined in 267 and include certain family members, related corporations, and other entities (partnerships) Losses on sales to related parties are not deductible by the seller Related party may deduct the previously disallowed loss to the extent of the gain on the sale to the unrelated third party
10-40