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Corporations: Earnings Profits and Dividend Distributions

Corporate Distributions. Vastly different treatment given distributions whose forms differ slightlyDoes the distribution represent a return ON shareholder's investment (dividend) or return Of shareholder's capital.. Distribution may take a variety of forms:. Cash or property, including corporation

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Corporations: Earnings Profits and Dividend Distributions

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    1. Chapter 5 Corporations: Earnings & Profits and Dividend Distributions

    2. Corporate Distributions Vastly different treatment given distributions whose forms differ slightly Does the distribution represent a return ON shareholder’s investment (dividend) or return Of shareholder’s capital.

    3. Distribution may take a variety of forms: Cash or property, including corporations own stock & obligations Shareholder may or may not surrender stock After the distribution, corporation may continue in same form or modified form or may terminate its operation

    4. Distributions to shareholders Presumed to be dividend unless shareholder can prove otherwise Amount of distribution is included in SH’s GI to extent it constitutes a dividend.

    5. Taxable Dividends Distributions from corporate earnings and profits (E & P) Treated as a dividend distribution Taxed as ordinary income or as preferentially taxed dividend income Distributions in excess of E & P Nontaxable to extent of shareholder’s basis (i.e., a return of capital) Excess distribution over basis is capital gain

    6. Example AB Corp. distributes $10,000 to sole SH, T At the close of year, corp. had E & P of $6000 before taking into account the distribution T’s basis in the stock is $3000 $10,000 distribution treated as follows: $6000 tax dividend (OI) $3000 tax free return of capital (to the extent of basis) $1000 Capital gain What is the basis in the stock?

    7. Earnings & Profits (slide 1 of 2) No definition of E & P in Code Similar to Retained Earnings (financial reporting), but often not the same

    8. Earnings & Profits (slide 2 of 2) E & P represents: Upper limit on amount of dividend income recognized on corporate distributions Corporation's economic ability to pay dividend without impairing capital

    9. Calculating Earnings & Profits (slide 1 of 4) Calculation generally begins with taxable income, plus or minus certain adjustments Add previously excluded items and certain deductions to taxable income including: Muni bond interest Excluded life insurance proceeds Federal income tax refunds Dividends received deduction Domestic production activities deduction

    10. Calculating Earnings & Profits (slide 2 of 4) Calculation generally begins with taxable income, plus or minus certain adjustments (cont’d) Subtract certain nondeductible items: Related-party losses Expenses incurred to produce tax-exempt income Federal income taxes paid Key employee life insurance premiums (in excess of increase in cash surrender value) Fines, penalties, and lobbying expenses

    11. Calculating Earnings & Profits (slide 3 of 4) Certain E & P adjustments shift effect of transaction from the year of inclusion in or deduction from taxable income to year of economic effect, such as: Charitable contribution carryovers NOL carryovers Capital loss carryovers Gains and losses from property transactions Generally affect E & P only to extent recognized for tax purposes Thus, gains and losses deferred under the like-kind exchange provision and deferred involuntary conversion gains do not affect E & P until recognized

    12. Calculating Earnings & Profits (slide 4 of 4) Other adjustments Accounting methods for E & P are generally more conservative than for taxable income, for example: Installment method is not permitted Alternative depreciation system required § 179 expense must be deducted over 5 years Percentage of completion must be used (no completed contract method)

    13. Examples of E & P Adjustments Effect on taxable income for E & P: Transaction Add Subtract Tax-exempt income X Life insurance proceeds X Deferred installment gain X Excess charitable contribution X Ded. of prior excess contribution X Federal income taxes X Officer’s life insurance premium X Accelerated depreciation X

    14. Current vs Accumulated E & P (slide 1 of 3) E & P has two parts: current and accumulated Current E & P Taxable income as adjusted

    15. Current vs. Accumulated E & P (slide 2 of 3) Accumulated E & P Total of all prior years’ current E & P as of first day of tax year, reduced by distributions from E & P

    16. Current vs. Accumulated E & P (slide 3 of 3) Distinction between current and accumulated E & P is important Taxability of corporate distributions depends on how current and accumulated E & P are allocated to each distribution made during year

    17. Allocating E & P to Distributions (slide 1 of 3) If positive balance in both current and accumulated E & P Distributions are deemed made first from current E & P, then accumulated E & P If distributions exceed current E & P, must allocate current and accumulated E & P to each distribution Allocate current E & P pro rata to each distribution Apply accumulated E & P in chronological order

    18. Allocating E & P to Distributions (slide 2 of 3) If current E & P is positive and accumulated E & P has a deficit Accumulated E & P IS NOT netted against current E & P Distribution is deemed to be taxable dividend to extent of positive current E & P balance

    19. Allocating E & P to Distributions (slide 3 of 3) If accumulated E & P is positive and current E&P is a deficit, net both at date of distribution If balance is zero or a deficit, distribution is a return of capital If balance is positive, distribution is a dividend to the extent of the balance Any current E & P is allocated ratably during the year unless the parties can show otherwise

    20. Cash Distribution Example A $20,000 cash distribution is made in each independent situation: 1 2 3* . Accumulated E & P, beginning of year 100,000 (100,000) 15,000 Current E & P 50,000 50,000 (10,000) Dividend: ? ? ? *Since there is a current deficit, current and accumulated E & P are netted before determining treatment of distribution.

    21. Qualifying Dividends (slide 1 of 3) Qualifying dividends are subject to a max 15% tax rate for most individual taxpayers Individuals in the 10% or 15% rate brackets are subject to a 5% rate In 2008, dividends are exempt from tax for these lower-income taxpayers The lower rates on dividend income apply to both the regular income tax and the alternative minimum tax

    22. Qualifying Dividends (slide 2 of 3) To qualify for lower rates, dividends must be: Paid by domestic or certain qualified foreign corps Qualified foreign corps include those traded on a U.S. stock exchange or any corp. located in a country that: Has a comprehensive income tax treaty with the U.S. Has an information-sharing agreement with the U.S. and Is approved by the Treasury Paid on stock held > 60 days during the 121-day period beginning 60 days before the ex-dividend date

    23. Qualifying Dividends (slide 3 of 3) Qualified dividends are not considered investment income for purposes of determining the investment interest expense deduction An election is available to treat qualified dividends as ordinary income (taxed at regular rates) and include them in investment interest income Thus, taxpayers subject to an investment interest expense limitation must compare relative benefits of low tax on qualifying dividends vs. increased amount of deductible investment interest expense

    24. Property Dividends Distribution may be of land, inventory, other property Raises questions of: Does corporation recognize gain or loss What is the effect on E & P? What is the amount of the distribution to SH? What is the basis of the distributed property?

    25. Property Dividends Effect on shareholder: Amount distributed equals FMV of property Taxable as dividend to extent of E & P Excess is treated as return of capital to extent of basis in stock Any remaining amount is capital gain

    26. Property Dividends Effect on shareholder (cont’d): Reduce amount distributed by liabilities assumed by shareholder Basis of distributed property = fair market value

    27. Example Corporation distributes land worth $150,000 to sole SH, B. The land is subject to a $20,000 MTG Amount of Distribution= $130,000 Basis=$150,000

    28. Property Dividends Effect on corporation: Corp. is treated as if it sold the property for fair market value Corp. recognizes gain, but not loss Corporation distributes land worth $100,000, basis $20,000 & equipment worth $30,000, basis $45,000 to SH. Land: Corp has g of 100,000-20,000=80,000 Equipment: realized loss- not recognized

    29. Property Dividends Effect on corporation: If distributed property is subject to a liability in excess of basis Fair market value is treated as not being less than the amount of the liability So if Liability>FMV, corporation must recognize g to the extent of liability over basis

    30. Example T Corp owns land w/ basis of $10,000 & liability of $40,000. Due to recent rezoning, property declined in value to $25,000. T distributes land to sole SH, R. 40,000 – 10,000 = 30,000 g If liability had been $3000 25,000 - 10,000 = 15,000 g (Liability is ignored.)

    31. Property Dividends Effect on corporation’s E & P: Increases E & P for excess of FMV over basis of property distributed (i.e., gain recognized) Reduces E & P by FMV of property distributed (or basis, if greater) less liabilities on the property Distributions of cash or property cannot generate or add to a deficit in E & P Deficits in E & P can arise only through corporate losses

    32. Property Distribution Example Property is distributed (corporation’s basis = $20,000) in each of the following independent situations. Assume Current and Accumulated E & P are both $100,000 in each case: 1 2 3 . Fair market value of distributed property 60,000 10,000 40,000 Liability on property -0- -0- 15,000 Gain(loss) recognized 40,000 -0- 20,000 E&P increased by gain 40,000 -0- 20,000 E & P decrease on dist. 60,000 20,000 25,000

    33. Constructive Dividend Any economic benefit conveyed to a shareholder may be treated as a dividend for tax purposes, even though not formally declared Need not be pro rata

    34. Constructive Dividend Usually arises with closely held corporations Payment may be in lieu of actual dividend and is presumed to take form for tax avoidance purposes Benefit conveyed is recharacterized as a dividend for all tax purposes Corporate shareholders are entitled to the dividends received deduction Other shareholders receive preferential tax rates

    35. Examples of Constructive Dividends (slide 1 of 3) Shareholder use of corporate property (e.g., company car to non-employee shareholder) Bargain sale of property to shareholder (e.g., sale for $1,000 of property worth $10,000) Bargain rental of corporate property

    36. Examples of Constructive Dividends (slide 2 of 3) Payments on behalf of shareholder (e.g., corporation makes payments to satisfy obligation of shareholder) Unreasonable compensation

    37. Examples of Constructive Dividends (slide 3 of 3) Below market interest rate loans to shareholders High rate interest on loans from shareholder to corporation

    38. Avoiding Unreasonable Compensation Documentation of the following attributes will help support payments made to an employee-shareholder: Employee’s qualifications Comparison of salaries with dividends made in past Comparable salaries for similar positions in same industry Nature and scope of employee’s work Size and complexity of business Corporation’s salary policy for other employees

    39. Constructive Dividends - Problem X Corp pays a salary of $50,000 plus a bonus of 10% of profits to F, the father of S, who is the sole shareholder of X Corp. For the past 2 years, F’s salary has been almost $200,000 because of the substantial profits of the corporation.

    40. Constructive Dividends - Problem A and B are the sole shareholders of X Corp. A is divorced from his wife, C. In the current year, A dies and leaves all his property to B, stating that he wants C to receive nothing from his estate. However, B feels he has a moral obligation to provide for C, who is destitute. Consequently, at the end of the current year, B has X Corp pay $60,000 in recognition of past services rendered by A.

    41. Stock Dividends (slide 1 of 2) Excluded from income if pro rata distribution of stock, or stock rights, paid on common stock Five exceptions to nontaxable treatment deal with various disproportionate distribution situations Effect on E & P If nontaxable, E & P is not reduced If taxable, treat as any other taxable property distribution

    42. Stock Dividends (slide 2 of 2) Basis of stock received If nontaxable If shares received are identical to shares previously owned, basis = (cost of old shares/total number of shares) If shares received are not identical, allocate basis of old stock between old and new shares based on relative fair market value Holding period includes holding period of formerly held stock If taxable, basis of new shares received is fair market value Holding period starts on date of receipt

    43. Problem B owned 30 shares of XYZ Corp common stock acquired on 12/4/02 for $900. On 5/1 2007, Corp declared a 3 for 2 stock split for common shareholders. So B received 15 additional shares of common shares that had a value of $40 on the date of distribution. What are the bases and holding periods of the shares? What if the 15 shares were preferred stock worth $160 per share?

    44. Stock Rights (slide 1 of 2) Tax treatment of stock rights is same as for stock dividends If stock rights are taxable Income recognized = fair market value of stock rights received Basis = fair market value of stock rights If exercised, holding period begins on date rights are exercised Basis of new stock = basis of rights plus any other consideration given

    45. Stock Rights (slide 2 of 2) If stock rights are nontaxable If value of rights received < 15% of value of old stock, basis in rights = 0 Election is available which allows allocation of some of basis of formerly held stock to rights If value of rights is 15% or more of value of old stock, and rights are exercised or sold, must allocate some of basis in formerly held stock to rights

    46. Corporate Distribution Planning (slide 1 of 2) Maintain ongoing records of E & P: Ensures return of capital is not taxed as dividend No statute of limitations on E & P, so IRS can redetermine at any time Accurate records minimize this possibility

    47. Corporate Distribution Planning (slide 2 of 2) Adjust timing of distribution to optimize tax treatment: If accumulated E & P deficit and current E & P loss, make distribution by end of tax year to achieve return of capital If current E & P is likely, make distribution at beginning of next year to defer taxation

    48. Avoiding Constructive Dividends (slide 1 of 2) Structure transactions on “arms’ length” basis: Reasonable rent, compensation, interest rates, etc...

    49. Avoiding Constructive Dividends (slide 2 of 2) Use mix of techniques to “bail out” corporate earnings such as: Shareholder loans to corporation Salaries to shareholder-employee Rent property to corporation Pay some dividends Overdoing any one technique may attract attention of IRS

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