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5-1 ©2008 Prentice Hall, Inc.
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5-2 ©2008 Prentice Hall, Inc. OTHER CORPORATE TAX LEVIES Alternative minimum tax (AMT) Personal holding company tax (PHC) Accumulated Earnings Tax (AET)
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5-3 ©2008 Prentice Hall, Inc. Alternative Minimum Tax AMT (1 of 2) AMT is an acceleration of a corp’s income taxes General AMT formula Small C corporation exception Definitions Tax preference items
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5-4 ©2008 Prentice Hall, Inc. Alternative Minimum Tax AMT (2 of 2) Adjustments to taxable income Adjusted current earnings (ACE) Minimum tax credit Tax credits and the AMT Cannot use general business credit FTC recomputed for AMT Financial statement implications
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5-5 ©2008 Prentice Hall, Inc. AMT Formula (1 of 3) Taxable income before NOL + Tax preference items +/- Adjustments to taxable income other then ACE adjustment and AMT NOL deduction (see TR C5-1) = Pre-adjustment AMTI
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5-6 ©2008 Prentice Hall, Inc. AMT Formula (2 of 3) Pre-adjustment AMTI +/- 75% of difference between pre- adjustment AMTI and ACE - AMT NOL deduction = AMTI before US prod activity ded -Adj for US prod activity ded =AMTI
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5-7 ©2008 Prentice Hall, Inc. AMT Formula (3 of 3) AMTI - Statutory exemption = Tax base x 20% tax rate = Tentative minimum tax before credits - AMT FTC = Tentative minimum tax (TMT) - Regular income tax liability = AMT due (if any)
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5-8 ©2008 Prentice Hall, Inc. Small C Corp Exemption from AMT Initial year: all corps exempt 2 nd year: exempt if first year gross receipts $5M 3 rd year: exempt if avg. of yr1 and yr 2 gross receipts $7.5M Subsequent years: exempt if avg. of prior 3 yrs’ gross receipts $7.5M
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5-9 ©2008 Prentice Hall, Inc. Definitions (1 of 2) Alternative minimum taxable income Tax base for AMT prior to applying the statutory exemption Statutory exemption amount $40,000 Reduced by 25% x (AMTI - $150,000) Fully phased out when AMTI ≥ $310,000
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5-10 ©2008 Prentice Hall, Inc. Definitions (2 of 2) Tentative minimum tax Tax liability based on AMTI less AMT exemption and AMT tax rate Reduced by AMT FTC Regular tax Regular income tax liability less FTC and possessions credits AMT TMT less regular tax
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5-11 ©2008 Prentice Hall, Inc. Tax Preference Items (1 of 2) Preference items always increase AMTI Include the following Excess depletion Depletion deduction – adj. depletable basis Intangible drilling cost deduction less 65% of net income from such property
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5-12 ©2008 Prentice Hall, Inc. Tax Preference Items (2 of 2) Include the following (continued) Tax exempt interest of certain private activity bonds Excess of ACRS over straight-line depreciation on real estate
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5-13 ©2008 Prentice Hall, Inc. Adjustments to Taxable Income (1 of 3) May increase or decrease AMTI Depreciation Different methods and/or recovery periods used to compute AMTI Basis calculations AMT basis based on AMT depreciation
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5-14 ©2008 Prentice Hall, Inc. Adjustments to Taxable Income (2 of 3) Installment sales Corp may use installment method for noninventory property Long-term contracts Must use % of completion for AMT Loss limitations At-risk and passive activity losses must be computed using AMTI
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5-15 ©2008 Prentice Hall, Inc. Adjustments to Taxable Income (3 of 3) NOL deductions Must use AMT NOL U.S. production activities deduction Different computation for AMT
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5-16 ©2008 Prentice Hall, Inc. Adjusted Current Earnings (ACE) Adjustment ACE based on E&P concept Adjustment (Preadjustment AMTI – ACE) X 75% Make all positive adjustments Negative adjustments Only when ACE < AMTI Limited to cumulative net positive and negative adjustments Cannot have a cumulative net negative adjustment
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5-17 ©2008 Prentice Hall, Inc. Minimum Tax Credit Corp may take a credit in future years for AMT paid in previous years if computed regular tax less all non- refundable credits is larger than that year’s TMT Limited to cumulative net AMT and minimum tax credits Cannot have a cumulative net minimum tax credit
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5-18 ©2008 Prentice Hall, Inc. Financial Statement Implications SFAS No. 109 requirements for accounting for AMT in fin stmts 1. Measure deferred taxes using regular tax rate 2. Measure total DTA for min tax credit arising from AMT 3. Reduce DTA for min tax credit by valuation allowance if “more likely than not” standard met
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5-19 ©2008 Prentice Hall, Inc. Personal Holding Company (PHC) Prevents closely held C corps from sheltering passive income from higher individual tax rates Stock ownership requirement Passive income requirement Calculating the PHC Tax
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5-20 ©2008 Prentice Hall, Inc. Stock Ownership Requirement (1 of 2) Five or fewer shareholders who own 50% of outstanding stock at any time during last 6 months of corporation’s tax year
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5-21 ©2008 Prentice Hall, Inc. Stock Ownership Requirement (2 of 2) §544 attribution rules apply Similar to §318 attribution rules except: Family attribution includes ALL ancestors and lineal descendents Corp attribution for ALL shareholders Attribution rules cannot be used to PREVENT a corp from being a PHC
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5-22 ©2008 Prentice Hall, Inc. Passive Income Requirement (1 of 2) 60% of corp’s AOGI for year is PHCI See Fig. C5-1 for AOGI calculation PHCI includes Dividends, interest, annuity proceeds, royalties, distributions from estate or trust, certain personal service contracts
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5-23 ©2008 Prentice Hall, Inc. Passive Income Requirement (2 of 2) PHCI includes (continued) Rents, unless corp earnings are predominantly from rental income See Table C5-2 for tests to determine exclusions from PHCI
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5-24 ©2008 Prentice Hall, Inc. Calculating the PHC Tax (1 of 3) Calculate undistributed personal holding company income (UPHCI) See next slide for calculation of UPHCI Apply 15% rate to determine tax Highest tax rate on dividend income
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5-25 ©2008 Prentice Hall, Inc. Calculating the PHC Tax (2 of 3) Taxable income +Positive adjustments DRD, NOL, charitable contrib. c/o,leased prop. net loss, excess rent exp. - Negative adjustments Accrued US/foreign inc. taxes, excess NOL w/o DRD, charitable contrib., after-tax cap. gain -Dividends-paid deduction =UPHCI
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5-26 ©2008 Prentice Hall, Inc. Calculating the PHC Tax (3 of 3) Avoiding PHC status with Throwback dividends Consent dividends Dividend carryovers Liquidating dividends Deficiency dividends See Topic Review C5-3
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5-27 ©2008 Prentice Hall, Inc. Accumulated Earnings Tax (AET) Corporations subject to the AET Definition Evidence of tax avoidance Evidence of reasonable needs AET liability See Topic Review C5-4
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5-28 ©2008 Prentice Hall, Inc. Corporations Subject to the AET Corporations excluded from AET Domestic and foreign PHCs Corporations exempt from tax under §§501-505 S corporations
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5-29 ©2008 Prentice Hall, Inc. Definition of AET Penalty tax to compel corps to distribute profits not needed for conduct of its business Tax at highest individual tax rate on dividends(15%) S/h must have tax-avoidance motive to avoid receipt of dividends Usually applies to closely held corps
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5-30 ©2008 Prentice Hall, Inc. Evidence of Tax Avoidance Loans to shareholders Corporate funds spent for personal benefit of shareholders Loans to a brother/sister corp Investments unrelated to corp’s business Protection against unrealistic hazards
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5-31 ©2008 Prentice Hall, Inc. Evidence of Reasonable Needs Expansion or replacement of facilities Acquisition of a business enterprise Debt retirement Working capital - Bardahl formula Loans to suppliers or customers Product liability losses Stock redemptions Business contingencies
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5-32 ©2008 Prentice Hall, Inc. AET Liability (1 of 2) 15% of AE taxable income Issue usually raised one or more years after tax year in question Once determined, liability cannot be reduced by deficiency dividend Dividends actually paid during tax year reduce AETI AEC available but subject to phaseout
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5-33 ©2008 Prentice Hall, Inc. AET Liability (2 of 2) Taxable income + Positive adjustments DRD, NOL, charitable contrib. c/o, capital loss carryover - Negative adjustments Accrued US/foreign inc. taxes, excess net cap.loss, charitable contrib., after-tax cap. gain - Dividends-paid deduction - Accumulated earnings credit = Accumulated taxable income
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Comments or questions about PowerPoint Slides? Contact Dr. Richard Newmark at University of Northern Colorado’s Kenneth W. Monfort College of Business richard.newmark@PhDuh.com 5-34 ©2008 Prentice Hall, Inc.
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