Chapter 5. Corporate Distributions Howard Godfrey, Ph.D., CPA Professor of Accounting Updated...

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Chapter 5. Corporate Distributions Howard Godfrey, Ph.D., CPA Professor of Accounting Updated January 31, 2012 Copyright 2012

Transcript of Chapter 5. Corporate Distributions Howard Godfrey, Ph.D., CPA Professor of Accounting Updated...

Page 1: Chapter 5. Corporate Distributions Howard Godfrey, Ph.D., CPA Professor of Accounting Updated January 31, 2012 Copyright 2012.

Chapter 5.Corporate

DistributionsHoward Godfrey, Ph.D., CPA

Professor of AccountingUpdated January 31, 2012

Copyright 2012

Page 2: Chapter 5. Corporate Distributions Howard Godfrey, Ph.D., CPA Professor of Accounting Updated January 31, 2012 Copyright 2012.

The student should be able to:

1.Compute current earnings and profits (E&P). Pg-3

2.Understand the difference between current and accumulated E&P. Pg-8

3.Determine the tax consequences of nonliquidating cash distributions and property distributions. Pg-10+

4.Determine the tax consequences of stock dividends and distributions of stock rights. Pg-18+

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1. Calculate current earnings & profits (E&P).

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Nonliquidating Distributions - General.

A distribution can be in money, securities, or any other property except stock or stock rights of the distributing corporation.

As a result of the 2003 Act, qualified dividends received by a noncorporate shareholder are temporarily subject to a maximum tax rate of 15%.

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Nonliquidating Dist. in General. Cont’d1. Shareholder includes in gross income as a

dividend any nonliquidating distribution by a corp to the extent that it is out of earnings and profits (E&P).

2. To the extent a distribution exceeds E&P, it is a return of capital and reduces the shareholder's basis in his stock.

3. To the extent that a distribution exceeds E&P and stock basis, gain is recognized that is a capital gain if the stock is a capital asset in the shareholder's hands.

Sections 301(a), 301( c) and 316

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Accum. E&P at 1-1-2012 $120,000Earn. & Profits for 2012 160,000Cash dividends to individual stockholders in 2012 360,000What is amount of dividend incometaxable to stockholders in 2012? a. $0 b. $160,000 c. $280,000 d. $360,000 CPANov1995 Sec. 301(a), 317(a), 316

Dahl Corp. had this Information:

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Accum. E&P at 1-1-2012 $120,000Earn. & Profits for 2012 160,000Cash dividends to individual stockholders in 2012 360,000What is amount of dividend incometaxable to stockholders in 2012?

c. $280,000 Sec. 301(a), 317(a), 316

Dahl Corp. had this Information:

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C corp. -nonliquidating dist. 1 of 2

Cash distribution to shareholders $1,000

Total current & accum. E&P $750

Total paid-in capital was $10,000

Impact on shareholders:I. Taxable as ordinary income of: $750

II. Reduced adj. bases in stock by: $250

a. I only. b. II only. c. Both I and II. d. Neither I nor II. CPA-Nov-95

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C corp. -nonliquidating dist. 2 of 2

Cash distribution to shareholders $1,000

Total current & accum. E&P $750

Total paid-in capital was $10,000

Impact on shareholders:I. Taxable as ordinary income of: $750

II. Reduced adj. bases in stock by: $250

Sec. 301( c)(1), 301( c)(2)c. Both I and II.

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Bob-Stock Redemption – 1 of 2Jan. 2, 2011. An investor (Bob) paid $40,000 for all 4,000 shares of newly organized ABC Corporation. Price: $10 per shareJan. 3, 2011. Bob found that ABC would not need the entire $40,000 for its initial asset acquisitions.Jan. 3, 2011. Bob sold 1,000 of his shares back to the corporation at his cost of $10 per share, or a total of $10,000.ABC had taxable income (and E&P) of $100,000 for 2011, and made no further distributions to Bob.How does Bob treat the Redemption?

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Bob-Stock Redemption – 2 of 2

The redemption will be treated as a dividend of $10,000.

Bob will not be able to show that this is “not essentially equivalent to a dividend.”

[70-1 USTC ¶9289]United States, Petitioner v. Maclin P. Davis]

Sec. 302(a) and (b)(1)

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Sue’s Investment – 1 of 2Jan. 2, 2011. An investor (Sue) paid $40,000 for all 1,000 shares of new ABC CorporationIn 2011, ABC had a net loss (and deficit E&P) of $100,000.In 2011, ABC had a net profit (and E&P) of $20,000 .January 1, 2011. Sue received a distribution of $10,000.How does Sue report the distribution?

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Sue’s Investment – 2 of 2

Sue will report dividend income of $10,000, because it is covered by current earnings and profits.Sec. 301, 316(a)

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Two Blocks of Stock- 1 of 2Investor purchased 1,000 shares of ABC Corp at $40 per share and an additional 1,000 shares at $50 per share.(Total cost of $90,000)ABC has no current or Accum. E &P, but makes a distribution of $44 per share ($88,000).What is impact on investor?

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Two Blocks of Stock- 2 of 2Total distribution does not exceed total basis, and there is no E&P.However, you must compute the gain using each block of stock (you may not combine the two blocks of stock).W.Taylor Johnson, 71-7 USTC 9148435 F. 2d 1257 reversing 303 F. Supp. 1, 69-2 USTC 9602

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Lan Corporation 1 of 2Lan Corp. made a $40,000 cash distribution to its sole shareholder this year. Lan’s current year E&P (as of the close of the year and without reduction for distributions during the year) is $25,000. Accumulated E&P from prior years is $10,000. What amount of dividend should be reported on Form 1099-DIV issued to the shareholder for the year? a. $ 40,000. b. $ 5,000. c. $ 0. d. $35,000.

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Lan Corporation 2 of 2What amount of dividend should be reported on Form 1099-DIV issued to the shareholder for the year? d. $35,000.

Does it make a difference if the dividend is paid on January 1, before the company has current earnings?No.

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Earnings and Profits. The term E&P is not defined in the Code. Its meaning must be determined from judicial decisions, Treasury regulations, and some rules provided in the Code.

The purpose is to measure a corporation's economic ability to pay dividends.

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Sales $10,000,000Expense other than Depreciation (6,000,000)Fixed Assets cost $20,000,000Depreciation – S/L (2,000,000)Extra Deprec – DDB (2,000,000) (4,000,000)Taxable Income $0Income Tax Paid $0GAAP Net Income (Used S/L Dep.) $2,000,000May corporation pay a dividend of $2,000,000on 12-31-12, & identify the dividend as a tax-free return of capital, because there is no E&P?Section 312(k). Regulation 1.312-15

New Corp.- First year operations (2012)

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Sales $10,000,000Expense other than Depreciation (6,000,000)Fixed Assets cost $20,000,000Depreciation – S/L (2,000,000)Extra Deprec – DDB (2,000,000) (4,000,000)Taxable Income $0Income Tax Paid $0GAAP Net Income (Used S/L) $2,000,000New Corp sells its fixed assets for $19,000,000 on 1-1-2013. No depreciation is claimed in 2013. What is gain in 2013 for income tax purposes?What is the gain in 2013 for E&P purposes?

New Corp.- First year operations (2012)

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Bought asset for $10,000, w/ 5-year life.Regular depreciation is DDB (200%DB), withhalf-year depreciation in year of acquisition.Alternate depreciation is 150% DB.

Yr Book Val Dep-Tax Book Val Dep-E&P1 $10,000 $2,000 $10,000 $1,5002 $8,000 $3,200 $8,500 $2,5503 $4,800 $5,950

Vehicle is sold on 12-31-year 2 for $6,000.What is regular tax gain and E&P gain?Sec. 312(k)(3). Section 168(g)(2)

Regular Tax E & P

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Expensed the asset under Sec. 179.What adjustment to taxable income is needed to computecurrent earnings and profits?Yr Adjustment Explain1

2Sec. 312(k)(3). Section 168(g)(3)(B)

Bought asset for $20,000.

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Expensed the asset under Sec. 179.What adjustment to taxable income is needed to computecurrent earnings and profits?Yr Adjustment Explain1 $20,000 Eliminate write-off

($4,000) Deduct over 5 years.2 ($4,000) Deduct over 5 years.

Sec. 312(k)(3). Section 168(g)(3)(B)

Bought asset for $20,000.

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Installment Sales $10,000,000 $10,000,000

Cost of sales (6,000,000) (6,000,000)

Gross Margin 4,000,000 4,000,000

Percentage Collected 40%

Gross Margin-Tax Return 1,600,000

Expenses (600,000) (600,000)

GAAP Income before tax $3,400,000

Taxable Income $1,000,000

What is its E&P at 12-31-12?

How is a $2,000,000 dividend reported?

(Credits covered tax liability) Sec. 312(n)(5)

X Corp. results In 2012, its first year:

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Note about preceding slide.

The preceding slide illustrates the concept that the installment sales method is not used for E&P purposes, even if it is used for regular income tax purposes. (Sec. 312(n)(5)). Same for completed contract method. [Sec. 312(n)(6)]

[In many situations the installment method is not allowed to be used for regular income tax purposes.]

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2. Understand the difference between current and accumulated E&P.

Page 27: Chapter 5. Corporate Distributions Howard Godfrey, Ph.D., CPA Professor of Accounting Updated January 31, 2012 Copyright 2012.

Current E&P. E&P consists of two parts - current and accumulated E&P. Current E&P is calculated annually. Accumulated E&P is the sum of undistributed current E&P for all prior tax years less distributions made out of accumulated E&P and prior year current E&P deficits. Distributions come first from current E&P and then from accumulated E&P if current E&P is insufficient.

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Computing Current E&P. The starting point for computing current E&P is the corporation's taxable income or NOL for the year. This must be adjusted to arrive at economic income or loss (current E&P) for the year. Page 7 provides a partial listing of the adjustments that must be made to taxable income to derive current E&P.

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Income Excluded from Taxable Income but Included in E&P.

Income that is specifically excluded from gross income must be included in current E&P if it increases the corporation's ability to pay a dividend and is not a contribution of capital.

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Income Deferred to a Later Period. Gains and losses on property transactions are often included in E&P when they are recognized for tax purposes.

Exception: installment sales. Gain is recognized in the year of sale for E&P purposes in the case of an installment sale.

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Income and Deduction Items That Must be Recomputed When Computing E&P.

Tangible personal property must be depreciated using the alternative depreciation system for E&P purposes. Realty is depreciated using the straight-line method over 40 years.

Other adjustments must be made for percentage depletion, intangible drilling costs and the completed contract method of accounting.

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Deductions That Reduce Taxable Income But Are Not Allowed in Computing E&P.

Some deductions claimed in computing taxable income are not allowed when computing E&P.

These include the dividends-received deduction, NOL carryovers, charitable contribution carryovers, and capital loss carryovers from other tax years.

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Expenses and Losses that are not Deductible in Computing Taxable Income but that Reduce E&P. When computing E&P, federal income taxes are deductible in the year accrued or paid. Charitable contributions are deductible without regard to the 10% limitation. Other deductible items for E&P purposes are life insurance premiums on key employees, capital losses in excess of capital gains, nondeductible expenses incurred to earn tax-exempt income, losses on sales to related parties, & nondeductible fines, penalties and political contributions.

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Transaction Add Subtract

Effect on Taxable Income? X? X?Tax-exempt incomeLife insurance proceedsDeferred installment gainExcess charitable contributionCharity Deduction- carryoverFederal income taxesOfficer’s life insurance premium

Accelerated depreciation

Adjust taxable income to get E & P:

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Transaction Add Subtract

Effect on Taxable Income? X? X?Tax-exempt income XLife insurance proceeds XDeferred installment gain XExcess charitable contribution XCharity Deduction- carryover XFederal income taxes XOfficer’s life insurance premium X

Accelerated depreciation X

Adjust taxable income to get E & P:

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Note that a distribution reduces E&P down to zero, but may not push E&P into a negative amount.

Sec. 312(a) (to the extent)

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Accum. E & P at 1-1-10 $20,000

Cash dividend paid 30,000

Taxable income for year 50,000

Fed. income taxes for 2010 7,500

Mun. bond interest earned 2,500

Accumulated E&P- 1-1-11?

Han, Inc. reported for 2010:

a. $15,000 b. $25,000

c. $30,000 d. $35,000

Page 38: Chapter 5. Corporate Distributions Howard Godfrey, Ph.D., CPA Professor of Accounting Updated January 31, 2012 Copyright 2012.

Accum. E & P at 1-1-10 $20,000

Cash dividend paid (30,000)

Taxable income for year 50,000

Fed. income taxes for 2010 (7,500)

Mun. bond interest earned 2,500

Accumulated E&P- 1-1-11? $35,000

Han, Inc. reported for 2010:

a. $15,000 b. $25,000

c. $30,000 d. $35,000

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Boone Corp, accrual method taxpayer, reports the following for 2010Taxable income per return $150,000Tax exempt interest received 3,500 Federal income taxes (41,750)Political cont. (not deducted) (25,000)Dividends declared and paid (115,000)Change in Accum. E. & P.Accum. E. & P. - 1-1-2010? 225,000 Accum. E. & P. - 1-1-2011?

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Boone Corp, accrual method taxpayer, reports the following for 2010Taxable income per return $150,000Tax exempt interest received 3,500 Federal income taxes (41,750)Political cont. (not deducted) (25,000)Dividends declared and paid (115,000)Change in Accum. E. & P. (28,250) Accum. E. & P. - 1-1-2010? 225,000 Accum. E. & P. - 1-1-2011? $196,750

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Sales $700,000 Cost of sales $400,000 Municipal bond interest 2,000 Compensation 100,000 Entertainment (Gross) 20,000 Miscellaneous Expense 140,000 Subtotal 660,000 702,000 Net Income before 42,000 Total $702,000 $702,000 AE&P at 12-31-2010: $100,000

In 2011 Davis had the following:

Davis does not have carryover of loss, etc.Ignore state taxes. What is AE&P at 12-31-11?a. $134,500 b. $187,000 c. $250,000 d. $313,000

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Continue Davis CaseCompute Income TaxNet Income before tax 42,000Mun. bond interest50% of entertainmentTaxable incomeIncome Tax

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Continue Davis CaseCompute Income TaxNet Income before tax 42,000Mun. bond interest (2,000)50% of entertainment 10,000 Taxable income 50,000 Income Tax 7,500

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Continue the Davis CaseCompute E&P at 12-31-2011Taxable Income-2011 50,000$ Tax-exempt income 2,000 Federal income taxes (7,500) Entertain. (not deducted) (10,000) Equals: Current E&PAdd: AE&P at 1-1-2011 100,000 TotalLess: Dividends paidE&P at 12-31-2011

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Continue the Davis CaseCompute E&P at 12-31-2011Taxable Income-2011 50,000$ Tax-exempt income 2,000 Federal income taxes (7,500) Entertain. (not deducted) (10,000) Equals: Current E&P 34,500 Add: AE&P at 1-1-2011 100,000 Total 134,500 Less: Dividends paidE&P at 12-31-2011 134,500$

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Current vs. Accumulated E&P. Nonliquidating distributions are treated as coming first out of current E&P. When distributions exceed current E&P, current E&P is allocated to distributions on a pro rata basis regardless of when in the year the distributions were made. Distributions in excess of current E&P are deemed to come from accumulated E&P in chronological order. Distributions in excess of accumulated E&P are treated as a return of capital and reduce the shareholder's basis in their stock (but not below zero). These distributions do not create an E&P deficit. Deficits arise only because of losses.

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AEP deficit at 1-1-2011 $50,000

Current E & P in 2011 $10,000Cash div. paid in 2011 $30,000

a. $30,000 b. $20,000 c. $10,000 d. $0 [CPAM-95]

How much dividend incomeis reported by shareholders?

Kee Corp. is a C Corp.

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AEP deficit at 1-1-2011 $50,000

Current E & P in 2011 $10,000Cash div. paid in 2011 $30,000

c. $10,000 Section 301( c)(1), 316(a)(2)

How much dividend incomeis reported by shareholders?

Kee Corp. is a C Corp.

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AEP deficit on Jan-1-2011 $50,000Current E & P in 2011 $10,000Cash dividend paid in 2011 $30,000Stockholder basis in the stock before the dividend $3,000

a. $30,000 b. $20,000 c. $17,000 d. $0 [CPAM-95]

How much capital gainis reported by shareholders?

Kee Corp. is a C Corp.

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AEP deficit on Jan-1-2011 $50,000Current E & P in 2011 $10,000Cash dividend paid in 2011 $30,000Stockholder basis in the stock before the dividend $3,000

c. $17,000 Sec. 301( c)(3)

How much capital gainis reported by shareholders?

Kee Corp. is a C Corp.

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Stock bought after dividend declaredOn January 2, 2011, an investor purchased, 1,000 shares of ABC stock at $40 per share.On January 10, 2011 the investor received dividends of $2 per share, declared on December 1, 2010, payable to stockholders of record on January 5, 2011.How does the investor report this $2,000 – as income or as return of capital?

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Stock bought after dividend declared

Sec. 301 focuses on payment of the dividend, not declaration of the dividend.See also Reg. 1.61-9(c)

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When is Dividend Reported?A dividend check is received on January 2, 2010.Dividend was declared on December 1, 2009, payable to stockholders of record on December 15, 2009, with check written and mailed on December 31, 2009? Reg. 1.451-2(b)

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3. Determine the tax consequences of non-liquidating Cash and Non-Cash property distributions.

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Consequences of Nonliquidating Property Distributions to the Shareholders. Property is defined as money, securities, and any other property except stock or stock rights of the corporation making the distribution. Amount of a distribution is generally the amount of money plus the FMV of any nonmoney property received. Any liability assumed reduces the amount of the distribution, but not below zero. Distribution is considered a dividend to the extent that it is out of E&P. Shareholder's basis in the property is its FMV unreduced by liabilities assumed. Holding period begins on the day after the distribution date.

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Consequences of Property Distributions to the Distributing Corporation. A corporation must recognize gain when it distributes property that has appreciated in value. Sec. 311(b).A loss will not be recognized on a nonliquidating distribution of property that has declined in value. If distributed property is subject to a liability or the shareholder assumes a liability in connection with the distribution, the FMV of the property is deemed to be at least equal to the amount of the liability.

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Consequences of Property Distributions to Distributing Corporation. Gain recognized is taxable to the corp. and results in an increase in E&P equal to the E&P gain which is the excess of the property’s FMV over its adjusted basis for E&P purposes. E&P gain may differ from the corp.’s recognized gain (for income tax purpose) upon distribution.

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Consequences of Property Distributions to the Distributing Corporation. If the adjusted basis of the noncash asset that is distributed equals or exceeds its FMV, E&P is reduced by the asset’s adjusted basis. If the FMV of asset distributed exceeds its adj. basis, E&P is reduced by asset's FMV. In either case the E&P reduction is net of:(1) any liability that the asset is subject to or which is assumed by the shareholder in connection with the distribution, and (2) the income taxes incurred on the gain recognized.

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Tank Corp. had E & P of $500,000Tank made a non-liquidating property distribution to shareholders: Property had adj. basis of $20,000 Property had FMV of $30,000Tank Recognizes a gain of: a. $30,000 b. $20,000

Sec. 311(a), (b)c. $10,000 d. $0 [CPA 11-94]

Distribution of Property-Tank Corp.

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Tank Corp. had E & P of $500,000Tank made a non-liquidating property distribution to shareholders: Property had adj. basis of $20,000 Property had FMV of $30,000Tank Recognizes a gain of:

Sec. 311(a), (b)c. $10,000

Distribution of Property - Tank Corp.

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Property Distributions- Red Corp. -1On 12-31-2011, Red Corp. distributed land to Mr. Smith (its sole shareholder). Adjusted basis of land $ 6,500 Fair Market Value of land 14,000 Mortgage on land 5,000For year ended 12-31-2011, Red had E&P of $50,000. How much dividend income is recognized by Mr. Smith?a. $1,500 b. $6,500 c. $9,000 d. $14,000 e. none of theseReg. 1.301-1(g), Sec. 301

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Property Distributions- Red Corp. -2On 12-31-2011, Red Corp. distributed land to Mr. Smith (its sole shareholder). Adjusted basis of land $ 6,500 Fair Market Value of land 14,000 Mortgage on land 5,000For year ended 12-31-2011, Red had E&P of $50,000. How much dividend income is recognized by Mr. Smith?

c. $9,000 Reg. 1.301-1(g), Sec. 301

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Distributions to shareholdersCash $75,000Land - FMV 60,000Land - Adj. Basis 50,000Cole's recognize gain?a. $10,000 b. $75,000 c. $ 25,000 d. $ - 0 –Sec. 311

Cole Corporation -1

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Distributions to shareholdersCash $75,000Land - FMV 60,000Land - Adj. Basis 50,000Cole's recognized gain? 10,000a. $10,000 Sec. 311

Cole Corporation -1A

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E & P balance $90,000Distributions to shareholders

Cash $75,000Land - FMV 60,000Land - Adj. Basis 50,000

Dividend income for shareholdersa. $75,000 b. $125,000 c. $ 135,000 d. $ 100,000Sec. 301(b), 316

Cole Corporation -2

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E & P balance $90,000Distributions to shareholdersCash $75,000Land - FMV 60,000Land - Adj. Basis 50,000Amt distributed-Sec. 301(b) 135,000Gain for corp. -Sec. 311 10,000Revised E & P - Sec. 312 100,000Stockholder Div. - Sec. 316(a) 100,000Assumes no income tax on gain

Sec. 301(b), 316

Cole Corporation -2A

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Distributions to shareholdersCash $75,000Land - FMV 60,000Land - Adj. Basis 50,000Shareholders' basis in the landa. $0 b. $50,000c. $60,000 d. $125,000Sec. 301(d)

Cole Corporation -3

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Distributions to shareholdersCash $75,000Land - FMV 60,000Land - Adj. Basis 50,000Shareholders' basis in the land 60,000Excess of Amt Distributed overdividend amount reduces basisof stock. Sec. 301( c)(2). 301(a)Sec. 301(d)

Cole Corporation -3A

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Morris - Non-Cash Property Dividend -1Morris Corp. has current E&P of $100,000. It distributes land with a FMV of $30,000 and basis of $10,000 to its sole shareholder, Mary, who has $70,000 basis in her Morris Corp. stock. This is not a liquidation or redemption. Which statement is true? a. Morris will recognize gain of $20,000 and Mary a taxable dividend of $20,000.b. Morris will recognize gain of $20,000 and Mary a taxable dividend of $30,000.c. Morris will recognize gain of $20,000 and Mary will have a non-taxable return of capital reducing her basis by $30,000.d. None of the above.

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Morris - Non-Cash Property Dividend -2

Morris Corp. has current E&P of $100,000. It distributes land with a FMV of $30,000 and basis of $10,000 to its sole shareholder, Mary, who has $70,000 basis in her Morris Corp. stock. This is not a liquidation or redemption. Which statement is true? b. Morris will recognize gain of $20,000 and Mary a taxable dividend of $30,000.

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Effect Property Dist. on shareholder: Amount of Distribution is FMV.If debt assumed >FMV, then FMV is assumed to be = debt.

Reduce distribution by debt assumed.Taxable dividend to extent of E & P.Excess is return of capital (basis).After basis is recovered, Capital gain.Basis of distributed property = FMV.

Page 72: Chapter 5. Corporate Distributions Howard Godfrey, Ph.D., CPA Professor of Accounting Updated January 31, 2012 Copyright 2012.

Effect of Property Distribution on E & P:

Increase E & P for excess of FMV over basis

of property distributed (Sec. 311 gain).

Reduces E & P by FMV of property

distributed (or basis, if greater)

less liabilities on the property .

Distributions of cash or property cannot

create or add to a deficit in E & P.

E & P deficits arise from corporate losses.

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In the next three examples, Earnings and profits are more than enough to cover the dividend paid, so it does not change our answers when we ignore that gain on distribution of property results in an income tax liability on that gain, and that tax is a reduction in E&P.

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Effect on Corporation Case 1

E & P Balance $100,000

Basis of property $20,000

FMV of property $60,000

Liability on property -0-

Gain (loss) recognized -§ 311

E & P increased by gain §312(b)

E & P decrease on dist.-§312(a)

Property Distribution to Individual

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Effect on Corporation Case 1A

E & P Balance $100,000

Basis of property $20,000

FMV of property $60,000

Liability on property -0-

Gain (loss) recognized -§ 311 $40,000

E & P increased by gain §312(b) $40,000

E & P decrease on dist.-§312(a) $60,000

Property Distribution to Individual

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Effect on Corporation Case 2E & P Balance $100,000Basis of property $20,000FMV of property $10,000Liability on property -0-Gain (loss) recognized §311(a)

E&P increased by gain

E&P decrease on dist. §312(a)

Property Distribution to Individual

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Effect on Corporation Case 2AE & P Balance $100,000Basis of property $20,000FMV of property $10,000Liability on property -0-Gain (loss) recognized §311(a) -0-

E&P increased by gain -0-

E&P decrease on dist. §312(a) $20,000

Property Distribution to Individual

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Effect on Corporation Case 3E & P Balance $ 100,000 Basis of property 20,000 FMV of property 40,000 Liability on property 15,000 Gain (loss) recog. §311(b)(1)E&P increase-gain - §312(b)(2)E&P decrease -§1.312-3

Property Distribution to Individual

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Effect on Corporation Case 3AE & P Balance $ 100,000 Basis of property 20,000 FMV of property 40,000 Liability on property 15,000 Gain (loss) recog. §311(b)(1) 20,000 E&P increase-gain - §312(b)(2) 20,000 E&P decrease -§1.312-3 25,000

Property Distribution to Individual

See also §311(b)(2) and 336(b)

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West Corporation - 1

West Corp. distributes land with a basis of $1,000 and FMV of $4,000 subject to a debt of $6,000 to Jeff, a shareholder. What gain or loss must West recognize from the distribution?

a. $3,000 gain. b. $1,000 loss.

c. $5,000 gain. d. $ - 0 -.

§311(b)(1), §311(b)(2) and 336(b).

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West Corporation - 2

West Corp. distributes property with a basis of $1,000 and FMV of $4,000 subject to a debt of $6,000 to Jeff, a shareholder. What gain or loss must West recognize from the distribution?c. $5,000 gain.

§311(b)(1), §311(b)(2) and 336(b).

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Property DividendsEffect on Shareholder.

1 FMV of property distributed2 Less: Liability assumed by stockholder3 Net value of dividend (Amount distributed)4 Earnings & Profits Balance5 Income: (Lesser of Line 3 or Line 4)6 Return of capital (reduce stock basis):

(Excess of Line 3 over line 4)7 Basis of Property (Line 1)

It is assumed here that basis is greater of (1) FMV or (2) liability assumed.Some say the basis should be FMV.

Page 83: Chapter 5. Corporate Distributions Howard Godfrey, Ph.D., CPA Professor of Accounting Updated January 31, 2012 Copyright 2012.

Property DividendsGain for Corporation.

1 FMV of Property Distributed

2 Debt on Property Distributed

3 Greater of Line 1 or Line 2

4 Corp.'s Basis in property

5 Gain (Line 3 minus Line 2)

[Loss not allowed]

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Property DividendsEffect on Corporate E. & P.

1 Beginning Earnings & Profits

2 Add: Gain on appreciated property

3 Adjusted Earning & Profits Balance

4 Greater of Basis or FMV of prop. distributed

5 Subtract: Debt on property

6 Net asset transfer

7 New Earnings & Profits. (Line 3 - Line 6)

Does not consider the impact on income taxes and related impact on E & P.

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Constructive Dividends. A constructive dividend is an indirect payment to a shareholder without the benefit of a formal dividend declaration. They usually arise in the context of a closely held corporation.

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Intentional Efforts to Avoid Dividend Treatment. Excessive salaries or loans to shareholders are often devices used to avoid dividend treatment while benefiting the shareholder. They may be reclassified as a dividend, fully taxable to the shareholder and not deductible by the corporation in computing its taxable income. With the “current” reduced rate on dividends, the corporation will still lose the deduction on reclassification.Shareholder/employee will obtain a partially offsetting tax reduction on the dividend, for example, from 35% on compensation to 15% on the dividend. Dividend will not be subject to incremental payroll taxes.

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Unintentional Constructive Dividend Shareholders are not always aware that the benefits that they are receiving are really constructive dividends. When they are discovered by the IRS or a tax advisor, the books and records of both the corporation and the shareholder will have to be adjusted. A CPA should always be an advocate for his client if the question of whether a constructive dividend has been paid or not is in doubt.

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Loans to Shareholders Loans to shareholders will be considered disguised dividends unless it can be shown that the loan is bona fide and the shareholder intends to repay it. If inadequate interest is charged, interest is imputed on the loan. The corporation will report interest income from the loan and the shareholder may have a deduction for interest deemed paid. The imputed interest is treated as a dividend paid to the shareholder, thereby resulting in no offsetting deduction for the corporation.

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Excessive Compensation Paid to Shareholder-Employees.

Excessive compensation received by a shareholder-employee is generally treated as a dividend.

Excessive Compensation Paid to Shareholders for the Use of Shareholder Property.

Rents, interest and royalties that are paid to shareholders which are excessive in amount are generally recast as constructive dividends.

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Corporate Payments for the Shareholder's Benefit. If a corporation pays a shareholder's personal obligation, the payment may be treated as a constructive dividend. Disallowed corporate deductions may also be treated as constructive dividends.Bargain Purchase of Corporate Property. If a shareholder purchases property from a corporation for less than its FMV, the discount amount may be treated as a constructive dividend.

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Shareholder Use of Corporate Property.

If a shareholder is allowed to use corporate property (e.g., an automobile, airplane or yacht) without paying adequate compensation to the corporation, the FMV of such use (minus any amounts paid) may be a constructive dividend to the shareholder.

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Effect of Unreasonable Salary? -1 Corp reported taxable income of $500,000 for the year, after deducting salary of $300,000 to the owner. The IRS determined that reasonable comp. was $200,000. Ignoring payroll taxes, what is the effect of this IRS action on taxable income of Corp and Gross income of owner?

For Corporation For Ownera. Increase No effectb. Increase Increase c. Decrease Decrease

Page 93: Chapter 5. Corporate Distributions Howard Godfrey, Ph.D., CPA Professor of Accounting Updated January 31, 2012 Copyright 2012.

Effect of Unreasonable Salary? -2 Corp reported taxable income of $500,000 for 2009, after deducting salary of $300,000 to the owner. The IRS determined that reasonable comp. was $200,000. Ignoring payroll taxes, what is the effect of this IRS action on taxable income of Corp and Gross income of owner?

Corporation Ownera. Increase No effect

However, dividend income will have 15% max rate.

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Excessive Salary-1XYZ is a successful C corp. with substantial earnings and profits. When the IRS determines that XYZ's salary to its major shareholder is unreasonably high, the resulting audit adjustments will have the following effect(s):a. Increased revenue on the corporate return for XYZb. Decreased deductions on the corporate return for XYZc. Increased income on the non-corporate stockholder's returnsd. Decreased income on the non-corporate stockholder's returnse. Both b and c

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Excessive Salary-2XYZ is a successful C corp. with substantial earnings and profits. When the IRS determines that XYZ's salary to its major shareholder is unreasonably high, the resulting audit adjustments will have the following effect(s):

b. Decreased deductions on the corporate return for XYZ

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A.M. Medlin , T.C. Memo. 1998-378. Medlin owns profitable auto dealership. Medlin is

president and wife has served as V.P. (non-owner) for many years. They have recently divorced. Under the terms of the divorce, wife gets:

• Some investment real estate valued at $1,000,000.

• A new automobile each year until she dies or remarries.

• Dealership will pay the annual lease costs ($10,000 per year on the auto) and the auto insurance ($4,000 per year) for auto provided to her.

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A.M. Medlin Cont’d – Constructive Dividend… Under the terms of the divorce, wife gets:• Coverage for medical, accident, and life

insurance. She will be covered by group policy at the dealership, and in the event that the coverage must be discontinued, dealership will purchase separate individual policies that continue her current coverage. The cost of such coverage is about $5,000 per year.

• Client and former spouse have asked you for tax advice regarding these transactions.

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4. Determine the tax consequences of stock dividends and distributions of stock rights.

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Stock Dividends and Stock Rights.In 1919, the Supreme Court ruled in Eisner v. Macomber that a stock dividend was not income to the shareholder because it took nothing from the property of the corporation and added nothing to the property of the shareholder. This is the general rule today with some exceptions for tax-avoidance schemes. The dividend is taxable when a stock dividend has the potential to change the shareholder's proportionate interest in the distributing corporation.

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Tax-free Stock Dividends. § 305, 307

If a stock dividend is nontaxable, the basis of the stock with respect to which the distribution is made must be allocated between the old and new stock in proportion to their relative FMVs on the distribution date.

The holding period of the new shares includes the holding period of the old shares.

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Tax-free Stock Rights. -1 § 305, 307A distribution of stock rights is tax-free unless it has the potential to change the shareholders' proportionate interests in the distributing corporation. If the value of the stock rights is less than 15% of the value of the stock with respect to which the rights were distributed, the basis of the rights is zero unless the shareholders elect to allocate basis to those rights. If the value of the rights is 15% or more of the value of the underlying stock, the shareholder must allocate the basis of the stock between the stock and the stock rights based on the relative FMVs of the stock and stock rights.

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Tax-free Stock Rights. -2 If the stock rights are sold, gain or loss is measured by subtracting the allocated basis of the rights (if any) from the sale price. If the rights are exercised, the basis allocated to the rights is added to the basis of the stock purchased with those rights. If basis is allocated to the rights and the rights are allowed to lapse, the allocated basis is returned to the underlying shares. No loss can be claimed.

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Effect of Nontaxable Stock Dividends on the Distributing Corporation.

Nontaxable distributions of stock or stock rights have no effect on the distributing corporation. The corporation does not recognize any gain or loss on the distribution and its E&P is unaffected. Please note that, for financial accounting purposes, stock dividends may reduce retained earnings.

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Taxable Stock Dividends & Stock Rights.

If the distribution is taxable, the amount of the distribution equals the FMV of the stock or stock rights that are distributed on the distribution date.

It is a dividend to the extent it is made out of E&P.

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20032010

2011

Basis of 100 Shares 1,650.00$ Basis per share of 100 shares

Basis per share of 110 shares

Basis per share of 220 shares

for each 10 common shares owned.ABC had 2 for 1 split of common stock when FMV was $30 per share.

Stock Dividends and Stock SplitsMs. K bought 100 ABC shares for $1,650.ABC declared stock dividendof 1 share of common stock

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20032010

2011 ABC had 2 for 1 split of common stock

Basis of 100 Shares 1,650.00$ Basis per share of 100 shares 16.50$ Basis per share of 110 shares 15.00$ Basis per share of 220 shares 7.50$

for each 10 common shares owned.

when FMV was $30 per share.

Stock Dividends and Stock SplitsMs. K bought 100 ABC shares for $1,650.ABC declared stock dividendof 1 share of common stock

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Which of the following statements regarding distributions of stock is not true?

a. Distributions of stock and stock rights are never treated as property.

b. Stock rights are distributions by a corporation of rights to acquire its stock.

c. Distributions of stock dividends and stock rights are generally tax free to shareholders.

d. Expenses of issuing a stock dividend are not deductible but must be capitalized.

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2003 Bonnie bought 100 shares of ABCcommon stock at $60/share. $6,000

2010

Common stock FMV/share $50Preferred stock FMV/share $100

2011at price of $160 per share $1,600

Ann - Stock Dividends- Preferred

ABC declared stock dividend

a. $100 b. $150 c. $200 d. $600

This is a not preferred stock bailout.What is Bonnie's gain?

of 1 share of preferred stock foreach 10 common shares owned.

Sold 10 shares of perferred

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Ann- Stock DistributionsCost of Common Shares 6,000$ Common- Number of Shares 100 Common -FMV per share $50 Total FMV of common stock Pfd. Number of Shares 10 Pfd. FMV per share $100 Total FMV of preferred stockTotal value of all stockPercent of cost - to commonPercent of cost - to preferredCost allocated to common stockCost allocated to preferred stockSelling price of preferred stockGain on sale of preferred stock

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Ann- Stock DistributionsCost of Common Shares 6,000$ Common- Number of Shares 100 Common -FMV per share $50 Total FMV of common stock $5,000 Pfd. Number of Shares 10 Pfd. FMV per share $100 Total FMV of preferred stock $1,000Total value of all stock 6,000$ Percent of cost - to common 83.33%Percent of cost - to preferred 16.67%Cost allocated to common stock 5,000$ Cost allocated to preferred stock 1,000 Selling price of preferred stock 1,600 Gain on sale of preferred stock $600

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Effect of Stock Div. on E&P?-1A corporation has 1,000 shares of $100 par outstanding.• Stock (1,000 shares)$100,000• Retained Earnings $100,000• FMV per share $200May the corporation pay a 50% stock dividend (500 shares) and eliminate E&P? And later pay a tax-free cash dividend of $100,000?

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Effect of Stock Div. on E&P?-2A corporation has 1,000 shares of $100 par outstanding.• Stock (1,000 shares) $100,000• Retained Earnings $100,000• FMV per share $200May the corporation pay a 50% stock dividend (500 shares) and eliminate E&P? And later pay a tax-free cash dividend

of $100,000? NO. Sec. 312(d)

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TheEnd