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IMA 11152005

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Title: IMA 11152005


1
IMA11/15/2005
  • 2005 2006 Tax Planning Including Recent Tax Law
    Changes

2
2004 Tax Law Changes - Individuals
  • Limits on elective deferrals for 401k plans
  • Increased to 14,000 (18,000 age 50 over)
  • Simple plans are limited to 10,000 (12,000 age
    50 over)
  • Sales tax allowed as itemized deduction
  • Table amount based upon AGI
  • Plus amounts spent on large ticket items
  • Not available in 2006

3
Individual tax law changes Cont.
  • Maximum clean fuel vehicle tax deduction
  • Maximum qualified electric vehicle credit of 10
    of cost or 4,000
  • Standard mileage rate increased to 48.5 cents per
    mile effective September 2005 (22 cents for
    medical and moving)
  • Sale of personal residence rules do not apply if
    home was part of a tax deferred exchange within
    last 5 years

4
Small Business Tax Law Changes
  • Deduction for meals increases to 70 for
    reimbursements related to DOT hour of service
    limits
  • Section 179 expense increased to 105,000
  • Off the shelf computer software can be expensed
    as part of Section 179
  • New leasehold improvements can now be depreciated
    over 15 years place in service before 2006
  • Can elect to deduct 5,000 of start-up costs

5
Small Business changes (Cont.)
  • S Corporation Changes
  • Allow six generations of family members to be
    treated a one shareholder effective 1/1/05
  • Increase of permissible shareholders to 100
  • Allow transfer of suspended losses to ex-spouse
    in divorce
  • Misc. other changes regarding banks and QSST

6
International Tax Reforms
  • Incentive to reinvest foreign earnings in the US
  • Allows a 85 deduction for cash dividends sent
    from controlled foreign corporations to the US
    parents
  • Deduction reduced by related party borrowings
  • Must exceed historical base period averages
  • Must have domestic reinvestment plan for
    dividends received
  • Must be less than 500 million, unless already
    noted as being larger than this amount
  • Applies to tax years ending after 2004

7
Tax Shelter and other Abuses
  • Failure to disclose tax shelters subject to large
    penalties
  • Penalty is 10,000 to 100,000 for natural
    persons
  • Penalty is 50,000 to 200,000 for other types of
    taxpayers
  • Larger penalty is for those shelters already
    listed as tax shelters

8
Tax shelters (Cont.)
  • Contribution of property where FMV is less than
    basis by more than 250,000 must be written down
    to FMV
  • Contributions of non-cash property by C
    corporations must make disclosure if it exceeds
    5,000 to get deduction

9
Tax Relief for Manufacturers
  • Beginning in 2005, manufacturers will get a new
    deduction for qualified income related to
    manufacturing. Deduction is equal to certain
    percentage of net income as follows
  • For 2005 and 2006 equals 3
  • For 2007 to 2009 equals 6
  • After 2009 equals 9

10
Tax relief for Manufacturers (Cont.)
  • Deduction is limited to taxable income from the
    business
  • Also limited to 50 of W-2 wages for the year
  • Eligible taxpayers are C corps, S corps,
    partnerships, sole proprietorships, estates and
    trusts

11
Tax relief for Manufacturers (Cont.)
  • Eligible Income
  • Income from manufacturing (including
    construction), reduced by the sum of
  • Cost of sales related to such income
  • Other deductions directly related to such income
  • Share of all other deductions based upon such
    income
  • Effective date for taxable years beginning after
    December 31, 2004

12
Tax relief for Manufacturers (Cont.)
  • Domestic production gross receipts (DPGR) are any
    items derived from any lease, rental, license,
    sale, exchange or other dispostion of
  • Qualifying property that was manufactured,
    produced, grown, extracted or constructed,
  • Qualified film produced by taxpayer, and
  • Electricity, natural gas or potable water

13
Tax relief for Manufacturers (Cont.)
  • In general, if the companys revenues are less
    than 25,000,000, then a simplified method of
    calculating the deduction will be allowed.
  • If over 25,000,000 in sales, then specific
    costs, etc. must be identified and calculated

14
Executive Compensation
  • Tax Act significantly changes the tax treatment
    of deferred compensation
  • Adopts very broad definition of nonqualified
    deferred compensation
  • Restricts the flexibility of distributions
  • Shuts down the use of offshore rabbi trusts and
    other trusts the provide protection from
    creditors

15
Executive Compensation (Cont.)
  • Penalizes the failure to comply by making all of
    the deferred amounts taxable
  • Imposes a 20 percent tax and interest at the
    underpayment rate plus 1 on participants
    affected by plan failure
  • Is effective for amounts earned, vested, and
    deferred after December 31, 2004

16
Executive Compensation (Cont.)
  • Any plan that defers compensation income that is
    not a qualified retirement or benefit plan comes
    under these provisions
  • Account based plans that allow employees to defer
    salary or bonus
  • Supplemental Executive Retirement Plans (SERPs)
  • Restricted stock units or phantom stock unit plans

17
Executive Compensation (Cont.)
  • Stock options, other than options on employer
    stock with an exercise price that is not less
    than the fair market value of the stock on the
    date of grant
  • Stock appreciation rights (SARs) and
  • Bonus plans under which payments is made after
    the bonus is earned
  • Compensation paid with 2 Ā½ months of year-end is
    exempt

18
Executive Compensation (Cont.)
  • In general, elections must be made by last day of
    the year proceeding the year in which services
    are to be performed
  • Prohibition on acceleration of distributions
  • Failure to comply results in immediate taxation
    plus 20 penalty tax plus interest from time of
    deferral or vesting if later

19
Executive Compensation (Cont.)
  • Limited access to distributions
  • Death
  • Separation from service
  • Disability
  • Specified times or fixed schedule
  • Following change of ownership or control
  • Unforeseeable emergency (to be defined by IRS)

20
Executive Compensation (Cont.)
  • Key employee of publicly traded company must wait
    at least six months upon departure
  • Officer with more than 130,000 of compensation
  • More than 5 owner
  • 1 owner with more than 150,000 of compensation
  • Most of these rules to be issued by IRS
    regulations

21
Cost Segregation Analysis
  • Not a new law, however, substantial tax savings
    on any new building either purchased or built
    related to manufacturing, retail, distribution,
    etc.
  • Obtain engineering or qualified report
  • Allows you to allocate 39 year life property to 5
    or 7 year life
  • Cost of studies vary, but usually in 3,000 to
    7,000 range

22
Investment Considerations
  • Maximum tax on dividends and capital gains
  • Qualified dividends 15
  • Long term capital gains 15
  • Short term capital gains 35
  • Building gain recapture 25
  • Collectibles 25

23
Investment Considerations (Cont.)
  • Exclusion of capital gain from sale of Small
    Business Stock
  • Can exclude 50 of gain
  • Must hold for at least five years
  • Limit of 10,000,000 or 10 times the adjusted
    basis
  • Must be acquired at original issue after August
    10, 1993
  • Total assets of corporation less than 50,000,000
  • Must be a C corporation
  • 7 of excluded gain is AMT preference item

24
Stock Options
  • Key issue
  • Make sure that the exercise of any stock options,
    incentive stocks options, etc. does not have
    negative AMT surprises
  • For example, many taxpayers exercise options and
    end up with AMT taxes greater than they can sell
    their stock for.

25
Overview
  • In general, at year-end, we
  • Defer recognizing income
  • Accelerate expenses
  • Maximize equipment purchases
  • Review investments for capital gains and dividend
    tax rates
  • Make sure AMT does not affect these calculations
    and estimates
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