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Other Corporate Tax Levies
5 Chapter Other Corporate Tax Levies
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Alternative Minimum Tax
Overview
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What is the AMT? Alternative income tax system running parallel to the regular income tax system Generally has a broader base, lower tax rates Objective of the AMT: To ensure taxpayers with substantial economic incomes pay some minimum amount of income tax (despite the lawful use of tax incentives)
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Small Corporations Small corporation exemption [IRC §55(e)] - Average annual gross receipts for prior 3 years less than $7.5 million - Controlled groups are aggregated - Special rules for initial years
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AMT Overview Regular taxable income + NOL carryforward deducted (if any) + Tax preferences (if any) +/- AMT adjustments other than ACE (if any) AMTI before ACE adjustment +/- ACE adjustment (if any) AMTI before AMT NOL deduction AMT NOL deduction (if any) = Alternative Minimum Taxable Income (AMTI)
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AMT Overview Alternative Minimum Taxable Income (AMTI) - AMT exemption = Taxable excess X % Tentative Minimum Tax
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AMT Overview [IRC §55(a)] If Tentative Minimum Tax > Regular tax before credits (except FTC), then AMT payable equals the excess Regular tax is before credits except foreign tax credits [IRC §55(c) and §26(b)]
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AMT Credit [IRC §53] When Tentative Minimum Tax < regular tax, an AMT credit is allowed as a reduction of regular taxes payable The AMT credit is limited to the lesser of: Regular tax less the tentative minimum tax or The sum of AMT paid in all prior years less the sum of AMT credits claimed in prior years Examples 1, 2, and 3
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Alternative Minimum Tax
Tax Preferences and AMT Adjustments (other than the ACE adjustment)
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AMT Tax Preferences Tax preferences are always positive
Interest income from private activity bonds issued after August 8, 1986 [IRC §57(a)(5)] Excess percentage depletion from oil and gas wells [IRC §57(a)(1)] Excess intangible drilling costs from oil, gas, etc. properties [IRC §57(a)(2)]
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AMT Adjustments Depreciation:
Real property placed in service after 1986 and before 1999 [IRC §56(a)(1)] Tangible personal property placed in service after 1986 and before 2005 [IRC §56(a)(1)] AMT basis in excess of regular tax basis for property dispositions [IRC §56(a)(6)]
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AMT Adjustments Long-term contracts must use percentage of completion for AMT [IRC §56(a)(3)] Loss limitations must be recalculated U.S. production activities deduction must be recalculated [IRC §199(d)(6)]
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Alternative Minimum Tax
The ACE Adjustment
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Adjusted Current Earnings
Adjusted current earnings [IRC §56(g)] AMTI before ACE adjustment +/- Adjustments for computing ACE = Adjusted current earnings (ACE)
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Adjusted Current Earnings
Adjustments for ACE [IRC §56(g)(4)]: (+) Tax-exempt interest income (excluding PAB interest income that is a tax preference) (-) Disallowed expenses and interest allocable to tax-exempt income (+) Proceeds from key-man life insurance (-) Premiums paid on key-man life insurance (+) 70% DRD actually deducted (+/-) LIFO inventory method not allowed
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Adjusted Current Earnings
Adjustments for ACE [IRC §56(g)(4)]: (+/-) Depreciation on assets placed in service 1/1/90 through 12/31/93 (-) Ace basis in excess of AMT basis for property dispositions of assets above (+) Amortization of organizational costs incurred after 1989 (+/-) Installment method not allowed
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ACE Adjustment [IRC §56(g)(1)] If the Adjusted Current Earnings (ACE) exceed the pre-ACE adjustment AMTI, then the positive ACE adjustment equals: % * (ACE less pre-ACE adj. AMTI)
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ACE Adjustment – Example 1
Assume: AMTI before the ACE adjustment = $100,000 Adjusted current earnings (ACE) = $130,000 No AMT NOL carryforward Then the ACE adjustment = 75% x (130,000 – 100,000) = $22,500 So, AMTI = 100, ,500 = $122,500
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ACE Adjustment [IRC §56(g)(2)] If the Adjusted Current Earnings (ACE) are less than the pre-ACE adjustment AMTI, then the negative ACE adjustment equals the lesser of: 75% * (Pre-ACE adj. AMTI less ACE) or The sum of positive ACE adjustments in all prior years over the sum of negative ACE adjustments in all prior years
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ACE Adjustment – Example 2
Assume: AMTI before the ACE adjustment = $100,000 Adjusted current earnings (ACE) = $80,000 Sum of all prior year ACE adj.s = $25,000 No AMT NOL carryforward Then the ACE adjustment = 75% x (80,000 – 100,000) = ($15,000) So, AMTI = 100,000 + (15,000) = $85,000
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ACE Adjustment – Example 3
Assume: AMTI before the ACE adjustment = $100,000 Adjusted current earnings (ACE) = $80,000 Sum of all prior year ACE adj.s = $12,000 No AMT NOL carryforward Then the ACE adjustment = 75% x (80,000 – 100,000) = ($15,000) Limited to ($12,000) So, AMTI = 100,000 + (12,000) = $88,000
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Alternative Minimum Tax
AMT NOL Deduction and AMT Exemption
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AMT NOL Deduction [IRC §56(a)(4) and (d)(2)] NOL carryover is determined after all AMT adjustments in the year originated [IRC §56(d)(1)] Limited to 90% of AMTI before the NOL deduction
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AMT Exemption Exemption [IRC §55(d)] Exemption amount is $40,000
Phase-out of exemption amount: % * (AMTI - 150,000) Exemption cannot go below zero! (Fully phased-out at AMTI of $310,000 or more)
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AMT Exemption – Examples
What is the exemption for a corporation with AMTI of $101,500? $40,000, AMTI < $150,000 (no phase-out)
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AMT Exemption – Examples
What is the exemption for a corporation with AMTI of $193,000? 40,000–25%(193,000–150,000)= $29,250
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AMT Exemption – Examples
What is the exemption for a corporation with AMTI of $350,000? $0, AMTI > $310,000 (fully phased-out)
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AMT Examples Examples 4, 5, and 6 Problems: C5-36, C5-40, C5-48
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