Insurance Tax Update Sara Hendrix Tax Senior Director Grand Rapids, MI Mackenzie Satkoski Tax Manager Grand Rapids, MI April 22, 2015.

Slides:



Advertisements
Similar presentations
Chapter 3 3 The Corporate Income Tax. Tax Accounting Methods: Accrual Method.
Advertisements

TAX MATTERS Provisional Presidential Decree No. 627, of November 12, 2013 – Revocation of the Transitional Tax System (RTT); taxation of the profits abroad.
Revenue Ruling , issued April 1, 2009, effective August 26, 2009 AND Revenue Ruling , Issued May 1, NEW RULES ON TAXATION OF THE SALE.
Session 1: Club Treasurer Role and Responsibilities.
An Act To Cut Taxes on Maine Residents by over $140,000,000 Be it enacted by the People of the State of Maine as follows: PART A Sec. A MRSA §5111,
Insurance Tax Update Presented by: Brandon Lagarde, CPA, JD, LLM.
Life and P&C Update Agenda IIR Hedging IIR Section 166 New York Life Mass Mutual State Farm Acuity Principal Southern Family Legislative proposals Proposed.
MODERATORCHARLES D. FRIEDSTAT FRIEDSTAT ACTUARIAL CONSULTING SPEAKERSRICHARD N. BUSH AMERIPRISE FINANCIAL PETER A. MARION SUN LIFE OF CANADA CONCURRENT.
Unit 8, part 4 Complex Estate Planning and Tax issues Economic Growth and Tax Relief Reconciliation Act.
Experience clarity // CPAs & ADVISORS TAX UPDATE Thomas F. Wheeland, CPA Partner.
May 12, Accounting Day FAS 109 Update Presented by: Shelly McGuire.
Chapter 05 Itemized Deductions “A person should be taxed according to his means” --The Talmud Copyright © 2012 by The McGraw-Hill Companies, Inc. All rights.
Chapter 1: What is a Partnership A partnership is an association between two or more persons who carry on a trade or business for profit as co-owners.
BKD National Insurance Services Group. TAX UPDATE Thomas F. Wheeland Partner BKD National Insurance Services Group.
Casualty Actuaries Society Tax Issues Associated with Unpaid Losses September 12, 2006.
IPSAS 23 REVENUE FROM NON-EXCHANGE TRANSACTIONS (TAXES AND TRANSFERS)
Experience clarity // CPAs & ADVISORS FUNDAMENTALS OF INSURANCE COMPANY TAXATION Tom Wheeland, Partner BKD, LLP T4.
Analysis of Income Taxes and Employee Stock Options Chapter 14 Robinson, Munter and Grant.
Time to pay back the benefits of bonus depreciation... Or maybe not any time soon with some tax planning… September 21,
Accounting Standard - 22 Accounting for Taxes on Income - By Pratap Karmokar, ACA.
Chapter 6 Vacation Homes Hobby Losses Losses on Transactions between Related Parties Deduction Related to Illegal Business Operations Prepaid Expenses.
BA 128A-1 Agenda 2/8 Questions from lecture Review Assignment - I3-36,47,57 I4-27,28,56 Additional Problems - I4-10,13,24,34,51 Web Page -
 Special Elections And Post Mortem Planning.  Estate Planning after Death o Decisions made on the estate that Impact heirs Impact taxes Impact executor.
©2008 Thomson South-Western, a part of The Thomson Corporation. Thomson, the Star logo, and South-Western are trademarks used herein under license. Chapter.
1 Open questions from last class Review homework Foreign tax credit (FTC) –How it works –Application of sourcing rules –Interaction with Sec 911 Agenda.
1 Health Benefits Under COBRA Consolidated Omnibus Budget Reconciliation Act of 1985 U.S. Department of Labor Employee Benefits Security Administration.
8-1 ©2008 Prentice Hall, Inc ©2008 Prentice Hall, Inc. CONSOLIDATIONS (1 of 3)  Source of consolidated tax return rules  Affiliated groups  Advantages.
Johan Boersma TAXATION OF COMPANIES IN THE CZECH REPUBLIC.
Affordable Care Act: Compliance Issues for West Virginia Boards of Education ASBO May 14, 2014 Jill E. Hall, Esquire Bowles Rice LLP 600 Quarrier Street.
The Affordable Care Act’s Credits, Subsidies, Penalties and Fees This presentation is a high-level summary and for general informational purposes only.
Experience clarity // CPAs & ADVISORS TAX UPDATE Thomas F. Wheeland, CPA Partner.
1 Patient Protection and Affordable Care Act Cheri D. Green This Presentation is not designed or intended to provide legal or professional.
SMALL BUSINESS JOBS ACT OF 2010 Nichols Patrick CPE, Inc. E. Lynn Nichols, CPA Edward K. Zollars, CPA Mark J. Patrick, CPA
Reinsurance Supervision The US Perspective ASSAL XIV Annual Meeting Alessandro Iuppa, Superintendent Maine Bureau of Insurance, USA.
Mary Beth Braitman and David N. Levine P2F2 Annual Conference October 20, 2009 Tax Panel, Part 1: Operational Compliance Reviews.
ESB From Health Care Reform This is only a brief summary that reflects our current understanding of select provisions of the law, often in.
Qualified Plan Distributions and Loans Chapter 25.
McGraw-Hill/Irwin ©The McGraw-Hill Companies, Inc., 2002 Principles of Taxation Chapter 10 The Corporate Taxpayer.
Connolly – International Financial Accounting and Reporting – 4 th Edition CHAPTER 18 DISTRIBUTION OF PROFITS AND ASSETS.
The ACA’s Medicaid Eligibility Provisions: Implications for Eligibility Workers August 14, 2012 NEW: PATHS 37 th Annual Training Conference Nashville,
Split-Dollar Life Insurance Chapter 42 Employee Benefit & Retirement Planning Copyright 2009, The National Underwriter Company1 An arrangement to share.
Connolly – International Financial Accounting and Reporting – 4 th Edition CHAPTER 13 INCOME TAXES.
HR 10 (Keogh) Retirement Plan for the Self-Employed Chapter 50 Tools & Techniques of Estate Planning Copyright 2011, The National Underwriter Company1.
Tax Update ∙ Midwest IASA ∙ Ankeny, IA ∙ September 17, 2015 Brandy Vannoy, CPA, Partner.
Perspectives on the Neal Bill and What It Could Mean for Coastal Markets Alex Kaplan, Vice President, Regulatory Affairs Michael Natal, Vice President,
The Ins & Outs Of Self-Insurance Southwest Actuarial Forum December 4, 2007 Ed Costner, ACAS, MAAA Casualty Actuarial Consultants, Inc.
Top Ten Steps To Prepare For Health Care Reform 1)Health Coverage- Make sure you are providing group health coverage to your employees, either directly.
Tax Consequences of Personal Activities 17-1 Chapter 17 McGraw-Hill/Irwin Copyright © 2013 by The McGraw-Hill Companies, Inc. All rights reserved.
30/05/20161 Captives How they work *Please note; This presentation is used as an information aid and interprets the essentials of captives and protected.
© 2012 Cengage Learning. All Rights Reserved. May not be copied, scanned, or duplicated, in whole or in part, except for use as permitted in a license.
Chapter 2 Gross Income & Exclusions Income Tax Fundamentals 2010 edition Gerald E. Whittenburg Martha Altus-Buller Student’s Copy.
©2007 Thomson South-Western, a part of The Thomson Corporation. Thomson, the Star logo, and South-Western are trademarks used herein under license. Chapter.
C HAPTER 3: R ECEIPT OF A P ARTNERSHIP I NTEREST IN E XCHANGE FOR S ERVICES.
Chapter 16 Corporate Operations © 2014 by McGraw-Hill Education. This is proprietary material solely for authorized instructor use. Not authorized for.
Risk Transfer In The Real World Presentedby Jane C. Taylor, FCAS, MAAA Junction Consulting, Inc. Casualty Loss Reserve Seminar Boston, MA September 12,
McGraw-Hill/Irwin Copyright (c) 2003 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 4 Income Measurement and Reporting.
McGraw-Hill© 2005 The McGraw-Hill Companies, Inc. All rights reserved.
McGraw-Hill/Irwin Copyright (c) 2002 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Chapter 11 Dispositions of.
© 2010 Cengage Learning. All Rights Reserved. May not be copied, scanned, or duplicated, in whole or in part, except for use as permitted in a license.
Chapter 2 Gross Income & Exclusions Income Tax Fundamentals 2009 edition Gerald E. Whittenburg Martha Altus-Buller Student’s Copy 2009 Cengage Learning.
McGraw-Hill/Irwin Copyright (c) 2003 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Dispositions of Equity Interests.
Accounting for Income Taxes
Tax Issues for Farmers: Rules & Tax Management
Accounting 6160 Home Slides Howard Godfrey, Ph. D
Analysis of Income Taxes and Employee Stock Options
Chapter 5 Corporate Operations
Shelby Pratt Finance Director Ohio Ministry Network Resource Center
AICP E Day The 2017 Tax Act – Much Change, but Little Reform Lower Rates & Changes to special insurance provisions: What does it mean for Insurers? June.
Taxation of Individuals and Business Entities
Opportunity Zone LIHTC Structure Fund or Business
Presentation transcript:

Insurance Tax Update Sara Hendrix Tax Senior Director Grand Rapids, MI Mackenzie Satkoski Tax Manager Grand Rapids, MI April 22, 2015

Agenda Tax Technical Update ACA Provisions  162(m)(6) Compensation Deduction Limitation  Health Insurer Fee – Form 8963 New and Proposed Provisions  Tangible Property Regulations  Obama FY16 Budget Provisions specific to Insurance Questions Page 2

Tax Technical Update

Recent Court Cases Acuity Mutual Insurance Co. v. Commissioner, TC Memo ­Tax Court ruled in favor of taxpayer ­Acuity supplied substantial evidence to support position and IRS did not ­Again, looked to NAIC approved annual statement for starting point Page 4

Recent Court Cases Acuity Mutual Insurance Co. v. Commissioner, TC Memo ­Take-away: Memorandum decision but reinforces the court’s reliance on documentation to support position that loss reserves are ‘fair and reasonable’ and makes it more difficult for the IRS to argue otherwise Page 5

Recent Court Cases State Farm v. Commissioner, No. 11–3478 ­Seventh Circuit in US Court of Appeals did not allow bad-faith damage award that was punitive as part of loss reserves ­Portion of award related to compensatory was included in loss reserves ­Court largely followed the NAIC guidance Page 6

Recent Court Cases New York Life v. United States, No. 11–2394 ­Second Circuit Court affirmed district court decision that deductions for policyholder dividends did not satisfy the “all-events” test under IRC 461 ­New York Life deducted two types of dividends Annual dividend mandated by state law; credited but not paid until PH anniversary date Voluntary termination dividend accrued but no paid until death, maturity, or surrender Page 7

Recent Court Cases Mass Mutual Life v. United States, No T ­U.S. Court of Claims; nearly identical facts as NY Life ­Court applied standard of deductibility that requires absolute liability rather than absolute discharge through payment Court viewed Board approval of guaranteed dividend prior to year end as an established liability, deductible in the year of adoption and resolution Court held that PH dividends qualified as recurring and satisfied the “all- events” test ­Takeaway Page 8

Section 162(m)(6) Compensation Deduction Limitation

IRC Section 162(m)(6) Enacted as part of the Affordable Healthcare Act in Final IRS regulations were issued in September Provides for a $500,000 limit on compensation deductions for tax year beginning on or after January 1, 2013 for “Covered Health Insurance Providers” (CHIPs). Deduction limitation applies to both current and deferred compensation arrangements paid or vested in 2013 or later (discussed later in more detail). Page 10

IRC Section 162(m)(6) Section 162(m)(c)(6) defines a CHIP as any employer that is a “health insurance issuer” as defined under IRC Section 9832(b)(2) who receives at least 25% of gross premiums from providing health insurance coverage defined as “minimum essential coverage.” A “health insurance issuer” is defined as an insurance company, service or organization (including HMO) that is licensed to engage in the business of insurance in a state and subject to state law which regulates insurance. Page 11

IRC Section 162(m)(6) Deferred Compensation: 162(m)(6) limitation applies to deferred compensation attributable to services performed in a taxable year beginning after December 31, 2009 that is otherwise deductible in a taxable year beginning after December 31, 2012 Any unused $500,000 limitation on deferred compensation maybe carried forward to the taxable year in which such compensation is otherwise deductible Page 12

IRC Section 162(m)(6) De Minimis Exception: A health insurance issuer and any member of its aggregated group are not considered to be CHIPs if the premiums received by the health insurance issuer(s) in the group are less than 2% of the total gross revenue of the aggregated group Subsequent year transition period for de minimis exception Aggregate Group Rules Final regulations example Page 13

Health Insurance Provider Fee – Form 8963

Health Insurance Provider Fee Enacted as part of the Affordable Healthcare Act in Known as the “Insurer Fee”, this fee is applies to health insurance issuers. Beginning in 2014, health insurance issuers will pay an annual fee based on their net written premiums. Similar definitions and exclusions apply to this fee as is applied to the 162(m)(6) provisions Fee is non-deductible for income tax purposes Fee is being used to fund premium tax subsidies for low-income taxpayers from purchased coverage via health exchange Page 15

Health Insurance Provider Fee The criteria for the fee is as follows:  Less than $25M premiums – not subject to fee  Between $25M and $50M premiums – 50% of premiums subject to fee  Over $50M in premiums – 100% subject to fee Different rates apply to tax-exempt insurers Government will issue the revenue needed to be raised by these fees on an annual basis revenue = $11.3 Billion Insurers report annual net written premiums to the IRS via Form Due to IRS by April 15 each year. Amount of fee will be determined and notified by August 31, payment due September 30 each year Page 16

New and Proposed Tax Legislation – Insurance Industry

New Tax Laws Tangible Property Regulations ­Final regulations issued September 2013 ­Effective January 1, 2014 Early adopt for 2012 and 2013 ­Goal was to simplify and provide more guidance Page 18

New Tax Laws Tangible Property Regulations – Main Focus ­Materials and Supplies ( ) ­Repairs and Maintenance ( ) ­Capital Expenditures (1.263(a)-1) ­Amounts paid for the acquisition or production of tangible property (1.263(a)-2) ­Amounts paid for the improvement of tangible property (1.263(a)-3) Page 19

New Tax Laws Tangible Property Regulations – De Minimis Capitalization ­Safe harbor at the invoice or item level ­$5,000 per invoice or item, if applicable financial statement ­$500 per invoice or item, if no applicable financial statement Page 20

New Tax Laws Tangible Property Regulations – Transition ­IRS expects that nearly all companies will have a change in their accounting method ­Transition guidance was issued in early 2014 in Revenue Procedure and ­How to apply the regulations for years prior to 2014 ­Change of accounting procedures Page 21

Proposed Tax Laws Obama FY 2016 Budget – many provisions repeated from FY15 Budget ­Top corporate tax rate 28% ­Provision to limit deductions for reinsurance paid by a US insurance company to its foreign affiliates Denial of deduction for reinsurance premiums paid to the extent the foreign reinsurer is not subject to U.S. income tax with respect to premiums received. ­Imposition of “Financial Crisis Responsibility Fee” on financial entities, including insurance companies, with worldwide consolidated assets in excess of $50 billion. Fee based on covered liabilities Page 22

Proposed Tax Laws Camp Tax Reform Discussion Draft ­Similar corporate rate reduction from Obama proposal – 25-28% ­Involves “base broadening” to provide revenue neutral impact on rate reduction ­Several provisions specific to life insurance industry include substantial increase to Tax DAC capitalization rates, lower tax reserve discount rates, further reduction of DRD, changes in carryback provisions to mirror non-life companies Page 23

Questions?

Questions & Answers For additional questions please contact: Sara Hendrix Tax Senior Director (616) Mackenzie Satkoski Tax Manager (616) Page 25