Title: TaxDeferred Exchanges
1Tax-DeferredExchanges
2Tax-Deferred Exchanges
- A tax-deferred exchange postpones gain or loss
recognition to the future by adjusting basis of
the asset acquired - The longer gain recognition can be postponed, the
greater the tax savings - The longer a loss is postponed, the less valuable
the loss
3Basis Adjustments
- Gain is deferred by reducing the adjusted basis
of the replacement property by the deferred gain - Loss is deferred by increasing the adjusted basis
of the replacement property by the deferred loss - When an asset is sold at a later date, the basis
adjustment results in the deferred gain or loss
being recognized
4Basis
- Carryover basis the basis of the original asset
follows the asset to the new owner - Substituted basis the basis of the original
asset is substituted for the asset acquired - Holding period of the old asset is added to the
holding period of the new asset when basis is
determined by carryover, substitution or basis
adjustment
5Like-Kind Exchanges
- When eligible property is exchanged solely for
other property of a like-kind, no gain or loss is
recognized (Section 1031) - The gain or loss realized is deferred by
adjusting the basis of the replacement property - Qualifying property must be used in a business
or for investment - Certain properties are excluded
- inventory, stock, securities, and partnership
interests
6Like-Kind Exchanges
- Realty must be exchanged for realty (can be land
or buildings) - Personalty must be exchanged for personalty in
same class - General asset classes for personalty include
- Office furniture, fixtures equipment
- Computers info systems equipment
- Automobiles taxis
- General-purpose light trucks
- General-purpose heavy trucks
7Like-Kind Exchanges
- The receipt of boot can cause realized gain to be
recognized - Boot is anything that is not like-kind qualifying
property and includes - Cash
- Properties not of a like-kind
- Net liabilities discharged
- in the transaction
8Like-Kind Exchanges
- Gain Recognized lesser of gain realized or boot
received (giving boot does not affect gain
recognition) - If the requirements are met, like-kind exchange
treatment is mandatory (not elective) and it
applies to losses as well as gains
9Like-Kind Exchanges
- Boot
- Any property involved in the exchange that is not
like-kind property is boot - The receipt of boot causes gain recognition equal
to the lesser of boot received (FMV) or gain
realized - No loss is recognized even when boot is received
10Like-Kind Exchanges
- Boot
- The transferor of boot property may recognize
gain or loss on that property - Treat as if boot property sold for its FMV
11Problem, part I
- In a like-kind exchange, TP1 received real estate
with FMV 100,000. - TP1 gave in exchange
- Real estate FMV 80,000 AB 50,000
- Machinery FMV 20,000 AB 15,000
- Will TP1 recognize any gain or loss?
12Problem, part II
- TP2 exchanged real estate with AB 70,000 and FMV
100,000 - For real estate FMV 80,000
AB 50,000 and
machinery FMV 20,000 AB
15,000 - Will TP2 recognize any gain nor loss?
13Like-Kind Exchanges
- Taxpayers with loss assets might want to sell
them so they can deduct their losses in the
current year, then buy replacement property - Alternatively, taxpayers can receive cash
tax-free in an exchange because when there is a
realized loss, boot can be received without
causing gain recognition
14Like-Kind Exchanges
- Basis in replacement property FMV of property
received less deferred gain plus deferred loss - Alternatively, basis in replacement property
basis of property surrendered plus boot given
plus gain recognized less boot received - Holding period for new property includes holding
period of property surrendered - Basis of Boot FMV
- Holding period begins on date received
15- TP exchanged factory with FMV 100,000, AB
80,000, for a warehouse with FMV 100,000. - What is TPs realized gain, recognized gain,
deferred gain, and basis in the warehouse?
16Indirect Exchange
- In an indirect exchange, the taxpayer hires a
third party to purchase the desired property - The third party then exchanges the just-purchased
property for the taxpayers property - The taxpayer has a qualifying exchange
- The seller of the property and the third party
must treat the transaction as taxable
17Nonsimultaneous Exchange
- A taxpayer can sell his property, but a third
party must hold all proceeds so that the taxpayer
has no access to any cash or other property
received in the sale - The taxpayer has 45 days from the date the
property is transferred to identify like-kind
property to be exchanged - The acquisition of the identified property must
be completed within 180 days
18Wash Sales
- Wash sale - identical securities acquired within
30 days before or after sale (a 61-day period) - Wash sale losses are disallowed but gains are
taxed - Loss is deferred by adding disallowed loss to
basis of new shares - If more stock is sold than is purchased within
the 61-day period, only a portion of the loss
representing the repurchased stock is deferred
19Involuntary Conversions
- An involuntary conversion results from
- Theft embezzlement, larceny and robbery (but
not simply losing items) - Casualty requires a sudden, unexpected, and
unusual event including a fire, flood, tornado,
hurricane or vandalism - Condemnation lawful taking of property for its
fair market value by government under right of
eminent domain
20Casualties and Thefts
- Gains and losses sustained on casualties and
thefts are not under a taxpayers control so they
receive special tax treatment - Allowable losses (including personal losses) are
immediately deductible - Gains (due to receipt of insurance proceeds) may
be deferred if all insurance proceeds are used to
repair the damaged property or to acquire
qualifying replacement property
21Definition of Casualty Theft (C T)
- Losses or damages to the taxpayers property that
arise from fire, storm, shipwreck, or other
casualty or theft - Loss is from event that is identifiable, damaging
to taxpayers property, and sudden, unexpected,
and unusual in nature - Events not treated as casualties include losses
from disease and insect damage
22Definition of Theft
- Theft includes robbery, burglary, embezzlement,
etc. - Does not include misplaced items
23When Casualty Theft Is Deductible
- Casualties year in which loss is sustained
- Exception If declared disaster area by
President, can elect to deduct loss in year prior
to year of occurrence - Thefts year in which loss is discovered
24Effect of Claim for Reimbursement
- If reasonable prospect of full recovery
- No casualty loss is permitted
- Deduct in year of settlement any amount not
reimbursed - If only partial recovery is expected, deduct in
year of loss any amount not covered - Remainder is deducted in year claim is settled
25Amount of CT Deduction
- Amount of loss and its deductibility depends on
whether - Loss is from nonpersonal (business or production
of income) or personal property - Loss is partial or complete
26Amount of Nonpersonal CT Losses
- Theft or complete casualty
(FMV after 0) - Adjusted basis in property less insurance
proceeds - Partial casualty
- Lesser of decline in value or adjusted basis in
property, less insurance proceeds
27CT Examples
- Business and production of income losses (no
insurance proceeds received) - Adjusted FMV FMV
- Item Basis Before After Loss
- A 6,000 8,000 5,000
3,000 - B 6,000 8,000 1,000
6,000 - C 6,000 4,000 0
6,000
28Nonpersonal CT Losses
- Business, rental, and royalty properties
- Deduction will be FOR AGI
- Investment properties
- Deduction will be FROM AGI
- Misc. itemized deduction not subject to 2 of AGI
limitation
29Nonpersonal CT Gains
- Depending on the property, gain can be ordinary
or capital - Amount of nonpersonal gains
- Insurance proceeds less adjusted basis in property
30Personal CT Gains
- Net personal casualty gains and losses
- If gains exceed losses, treat as gains and losses
from the sale of capital assets (and added to
them.) - Short term or long term, depending on holding
period - Personal casualty and theft gains and losses are
not netted with the gains and losses on business
and income-producing property
31Personal CT Losses
- Net personal casualty gains and losses
- If losses exceed gains, CT deduction will be
FROM AGI (an itemized deduction) - Amount of personal CT losses
- Lesser of decline in value or adjusted basis in
property, less insurance proceeds - CT Limitation
- Each CT occurrence is deductible to extent gt
100, and aggregate of CT losses for year must
be gt 10 AGI
32Example of CT Limitation (slide 1 of 2)
- Karen (AGI 40,000) has the following CT
(amounts are lesser of decline in value or
adjusted basis) - 1. Car stolen (6,000) with camera inside (500)
- Earthquake damage house (2,000), furniture
- (1,000)
33Example of CT Limitation (slide 2 of 2)
- Example of CT limitation (contd)
- Karen has no insurance coverage for either
loss - 1. 6,000 500 6,500 100 6,400
- 2. 2,000 1,000 3,000 100 2,900
- Karens deductible CT loss is 5,300 6,400
2,900 (10 40,000)
34PROBLEMS
- ABC Computer Co. incurred the following casualty
and theft losses during the current year.
Compute the casualty and theft loss deduction for
each. - Adj. FMV FMV Ins.
Basis Before After Reimburse - Robbery 10,000 9,000
0 9,000 (Computer) - Fire 65,000 100,000
55,000 55,000 - (Store)
- Fire 3,000 4,000
0 2,000 - (Truck)
35PROBLEMS
- Tom was involved in an accident while driving his
automobile. The car cost him 10,000 originally,
and was used only for personal use. FMV before
the accident was 5,000. After the accident, FMV
was 1,000. His insurance company reimbursed him
3,000. His AGI was 50,000. He had no other
thefts or casualties. What amount can he deduct
as a net casualty loss for the year?
36Gains onInvoluntary Conversions
- Casualty or theft gains result when insurance
recovery is greater than basis - Condemnations usually result in gain because
proceeds received are usually fair market value - If all of the proceeds are reinvested in
qualified replacement property (or repairing the
property to its pre-casualty condition) then - Gain is deferred if reinvestment done within
replacement period
37 Replacement Period
- 2 full tax years after the end of the taxable
year in which the involuntary conversion occurs - Extended to 3 years if it involves a condemnation
of business or investment realty - If any of the proceeds are not reinvested (either
through repairs of the damaged property or by
acquiring replacement property within the time
period), then gain is recognized on the amount
not reinvested
38Replacement Property
- Functional-use test replacement property
provides same function as converted property - Taxpayer-use test only need to replace with
leased property (applies to investment real
estate rented and not used by owner) - Condemned business or investment realty only
needs to meet like-kind test
39Gain Recognition
- Gain Recognized lesser of gain realized or the
amount not reinvested (amount realized less
amount reinvested) - This provision does not apply to losses
- The basis in the replacement property is the cost
(amount reinvested) less any deferred gain (gain
realized less gain recognized) - Except in the case of direct conversion,
involuntary conversion treatment is elective
40Simple example
- Involuntary conversion with
- Cash received 200
- Basis of old property 180
- Cost of replacement property 192
41Involuntarily ConvertedPrincipal Residence
- If the taxpayer acquires a replacement residence
using all the proceeds received, the gain can be
deferred - If taxpayer meets 2 year ownership use tests,
can exclude up to 250,000 (500,000 if both
spouses qualify) of gain - These two provisions can be combined to exclude
gain on the amount that is not reinvested
42Transfers to Sole Proprietorships
- Gain or loss deferred
- Basis of transferred asset to sole proprietorship
is lesser of - Adjusted basis or
- Fair market value at date of
- conversion to business use
43Transfers to Corporations (351 Rule)
- Gain or loss deferred when cash or property is
contributed to corporation in exchange for stock - Shareholders contributing qualified property must
own 80 of stock (services do not qualify) - Stock received for services results in taxable
income to shareholder rendering services - Gain recognized when boot (other than stock)
received (loss is never recognized) - Gain lesser of realized gain or FMV boot
received
44Transfers to Corporations
- Stock basis
- Basis of property given up
- Gain recognized
- - Boot received
- - Liabilities assumed by the corporation
- Basis carries over to corporation (increased by
any gain recognized by shareholder) - Basis of boot received is its FMV
45TP transfers property to Corp X for gt80 its
stock 10,000 cash
- TPs AB in property is 60,000
- FMV of property is 100,000
- FMV of 80 of stock is 90,000
- What is TPs realized gain, recognized gain, and
deferred gain? - What is TPs basis in the stock?
- What is Corp Xs basis in the property?
46Transfers to Partnerships
- No gain or loss is recognized by partners or the
partnership (no minimum ownership required) - Partners must recognize taxable income
attributable to services - Basis of property carries over to the partnership
- Partner may need to recognize gain to avoid a
negative basis (if liabilities assumed by the
partnership are greater than partners basis
including his share of partnership liabilities)
47Transfers to Partnerships
- Partners basis in partnership interest
- Basis of property given up
- liabilities assumed by the partnership
- - partners share of partnership liabilities
- gain recognized
48- TP contributes equipment from his sole
proprietorship to partnership. - Equipment had FMV 50,000. It was purchased last
year for 70,000. 10,000 of depreciation had
been taken. - TP received 1/3 interest in partnership.
49The End