C:4‑29 Current E&P Computation. Water Corporation reports $500,000 of taxable income for the current year. The following additional information is available:
For the current year, Water reports and $80,000 long-term capital loss and no capital gains.
Taxable income includes $80,000 of dividends from a 10%-owned domestic corporation.
Water paid fines and penalties of $6,000 that were not deducted in computing taxable income.
In computing this year’s taxable income, Water deducted a $20,000 NOL carryover from a prior tax year.
Water claimed a $10,000 U.S. production activities deduction.
Taxable income includes a deduction for $40,000 of depreciation that exceeds the depreciation allowed for E&P purposes.
Assume a 34%
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The distribution is treated as a dividend to the extent of the distributing corporation’s current and accumulated E&P. Any additional; excess is treated as a capital gain. The shareholder’s basis in the property received is its FMV. The shareholder’s holding period for the property begins on the day after the distribution date.
When a corporation distributes appreciated property, it must recognize gain as if it sold the property for its FMV immediately before the distribution. For gain recognition purposes, a property’s FMV is deemed to be at least equal to any liability to which the property is subject or that the shareholder assumes in connection with the distribution. A corporation recognizes no loss when it distributes to its shareholders property that has depreciated in value. A corporation’s E&P is increased by any E&P gain resulting from a distribution of appreciated property. A corporation’s E&P is reduced by (a) the amount distributed plus (b) the greater of the FMV or E&P adjusted basis of any non money property distributed, minus © any liabilities to which the property is subject or that the shareholder assumes in connection with the distribution. E&P also is reduced by taxes paid or incurred on the corporation’s recognized gain, if any.
In Part a, what would be the tax consequences if Bailey were a corporation?
The amount
The total amount that was either billed in error or over assessed totaled $1,562.13 which was to be refunded. The citizens or businesses that had a refund asked that it be applied to any current taxes that are due.
Offer- This is defined as a clear manifestation of willingness to enter an agreement made by another person with full understanding that their assent to the bargain is an invitation and is concluded.
HRGC Company had revenues of 116,270 and a loss of 17,610 dollars in 1988. About 51 percent of revenue came from greens fees and salaries & admin. cost was 112,801.
(2) Accumulated Depreciation- This account accumulates the depreciation over the course of the 12 months. As mentioned above, the appraisal value of PP&E is referred to as “PP&E, net”, which is the original value of $200,000 minus the accumulated depreciation for each month.
55-7 Subject to certain specific exceptions identified in paragraph 740-10-25-3, a deferred tax liability is recognized for all taxable temporary differences, and a deferred tax asset is recognized for all deductible temporary differences and operating loss and tax creditcarryforwards. A valuation allowance is recognized if it is more likely than not that some portion or all of the deferred tax asset will not be realized. See Example 12 (paragraph 740-10-55-120) for an illustration of this guidance.
$42,953, was 63.6 gallons per person. We can conclude that the more money one makes, the more water he consumes and the less
If a corporation elects to revalue their assets and liabilities, it may also affect the company’s state distribution factors. By choosing this option of revaluation, corporation must consider that it could impact the effective tax rate and cash tax liabilities when completing their taxes as well as the property tax liabilities (Coopers, 2009). “For capital-intensive companies, property, plant and equipment may account for over 25% of their balance sheet.” (Coopers, 2009).
Individuals are allowed a reduction of taxable income on their form 1040 personal income tax return known as a loss, when the taxpayer suffers an economic loss during the taxable year and was not compensated by insurance. Determining the deductible amount of the loss can be difficult. The loss from the sale of property should be equal to the adjusted basis or the basis after making the necessary adjustments such as capital improvements or accumulated depreciation. When determining the amount of the loss there are some exceptions to the deductibility of the loss known as loss limitations. This paper will focus mainly on three possible loss limitations that individuals can run into when calculating their deductible loss: basis limitations,
As seen in the calculation above, shareholders of Western Areas received a capital loss of 32.29% for the 2015 financial year.
Do you agree with Water’s decision to keep product 103? Continue Production End Production Sales (Net) $ 26,670,000 $ - (Less) Rent $ 1,882,000 $ 1,882,000 Property Taxes $ 401,000 $ 401,000 Property Insurance $ 534,000 $ 534,000 Compensation Ins. $ 458,000 $ - Direct Labor $ 6,879,000 $ - Indirect Labor $ 2,309,000 $ - Power $ 302,000 $ - Light and Heat $ 106,000 $ - Building Service $ 75,000 $ 75,000 Materials $ 4,851,000 Supplies $ 350,000 $ - Repairs $
The distribution of the net proceeds from the sale of the real estate will result in U.S. tax liability of $200K, which will be offset by attributes carried over from prior years.
“As a result of applying this Interpretation, the amount of benefit recognized in the statement of financial position may differ from the amount taken or expected to be taken in a tax return for the current year. These differences represent unrecognized tax benefits, which are the difference between a tax position taken or expected to be taken in a tax return and the benefit recognized and measured pursuant to this Interpretation. A liability is created, or the amount of a net operating loss carry forward or amount refundable is reduced, for an unrecognized tax benefit because it represents an enterprise’s potential future obligation to the taxing authority for a tax position that has not recognized pursuant to this Interpretation.“ (Financial Accounting Series No. 281-B, 2006 p. 5).
a larger amount of depreciation expense shown on the income statement than on the tax return in the last year of the asset's useful life.
The loopholes listed above act in favor of treating water as an item of commerce. The main supporting factor is that the potential earning power of water is plausible . At least 13% of the world’s renewable freshwater is in North America. Clearly a global market exists and can be targeted; it consists of water scarce consumers with consumption and agricultural demands . Therefore, the export of surface and ground water from the U.S. and Canada can offer viable business opportunities to public and private
Before deciding on any type of tax rate, we determined the amount that is considered income for each taxpayer (Exhibit B). First, we looked at X. Chan and decided to count that the income from wages and cash dividends from his stock as gross income. Although he sold stock and had a gain of $180,000, he reinvested that amount into another stock. This $180,000 of energy stock does not qualify as gross income since it is not readily available to his name. Next, we looked at Samone Bales’ income and decided to include the money earned from her competitions and the sponsorship money. Although Samone Bales was in a foreign country for some competitions, we are still applying a regular tax system because she has other exclusions. Finally, the conjoined taxable income of Natasha and Cory include the profits of the restaurant.