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Chapter 3 Receipt of a Partnership Interest for Services

Chapter 3 Receipt of a Partnership Interest for Services. Introduction. When someone receives an interest in partnership capital in exchange for services, he or she must recognize income equal to the FMV of the partnership interest received. 1) Results to Service Partner

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Chapter 3 Receipt of a Partnership Interest for Services

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  1. Chapter 3Receipt of a Partnership Interest for Services

  2. Introduction • When someone receives an interest in partnership capital in exchange for services, he or she must recognize income equal to the FMV of the partnership interest received. • 1) Results to Service Partner • An interest in capital that vests in the service partner immediately is valued and treated as personal service income on the date of receipt. • An interest is vested if it either is transferable or it is not subject to a substantial risk of forfeiture.

  3. Capital Interest Received • If the partnership interest does not vest immediately, but rather is contingent, and is not transferable until that date, then the service partner recognizes no income with regard to the receipt of the partnership interest until it is vested. • The service partner may elect, under Code Sec. 83(b), to ignore the contingency associated with the receipt of the partnership interest, and include the interest in income when it’s received and measured at its initial value. • If the interest is subsequently forfeited, no deduction for the loss will be allowed for such partners.

  4. Capital Interest Received (Cont.) • This election is especially beneficial when the initial value of the partnership interest received is relatively low, or when the difference between that value, and the amount paid, is relatively small. • The election must be made no later than 30 days after the date that the property is transferred, and may be made prior to the transfer. • Until the interest vests (if the Code Sec. 83(b) election is not made), the service partner is not considered a partner for tax purposes.

  5. Capital Interest Received (Cont.) • There are 2 benefits of electing to be taxed in the year of receipt: • 1) The recipient avoids recognizing subsequent appreciation in the partnership interest as compensation income when the interest becomes vested. • 2) Any amounts received as partnership distributions are not re-characterized as compensation.

  6. Capital Interest Received (Cont.) • 2) Results to Partnership • When the interest is vested, the partnership is treated as if it transferred an interest in its property to the service partner as compensation for his or her past or future services. • It is entitled to a deduction for the value of the capital interest transferred to the service partner, unless a cash payment to an independent party for such services would be nondeductible. • The deduction is allocable to the continuing partners other than the service partner in proportion to their respective indirect interests in the partnership property transferred.

  7. Capital Interest Received (Cont.) • The partnership must realize a gain or loss on the portion of its property used to pay for the services. • This is allocated to the original partners. • The portion of the partnership’s property treated as paid to the service partner is stepped up or down in basis for the amount of gain or loss recognized by the partnership.

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