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© 2015 Cengage Learning. All Rights Reserved. May not be scanned, copied or duplicated, or posted to a publicly accessible website, in whole or in part.
Individual Income Taxes
1
Chapter 15
Property Transactions:
Nontaxable Exchanges
2
The Big Picture (slide 1 of 3)
• Recall the situation introduced in ‘‘The Big
Picture’’ in Chapter 14.
• Alice has changed her mind about selling the
house to her nephew for $275,000.
– Due to a recent groundbreaking for an upscale real
estate development nearby, the appraised value of
the house has increased to $600,000.
• Alice has decided she needs to do something
with the house other than let it remain vacant.
3
The Big Picture (slide 2 of 3)
• She is considering the following options:
– Sell the house for approximately $600,000
• Sales commission will be 5%.
– Convert the house to a vacation home
• It would be 100% personal use by Alice and her family.
• Sell it in two years.
– Convert the house to a vacation home
• Rent it 40% of the time and use it 60% of the time for personal use.
• Sell it in two years.
– Sell her current home and move into the inherited house.
• She has owned and lived in the current home for 15 years
• Her gain on the sale would be about $200,000.
• Since she is nearing retirement, she would live in the inherited
house for the required 2 year minimum period and then sell it.
4
The Big Picture (slide 3 of 3)
• Alice expects the inherited house to continue to
appreciate in value by about 5% per year.
• She plans on retiring in two years and moving to a
warmer climate.
– Until then, she is neutral as to which house she lives in.
• What advice can you offer Alice?
• Read the chapter and formulate your response.
5
Nontaxable Transactions
(slide 1 of 4)
• In a nontaxable transaction, realized gain or
loss is not currently recognized
– Recognition is postponed to a future date (via a
carryover basis) rather than eliminated
6
Nontaxable Transactions
(slide 2 of 4)
• In a tax-free transaction, nonrecognition of
realized gain is permanent
7
Nontaxable Transactions
(slide 3 of 4)
• Holding period for new asset
– The holding period of the asset surrendered in a
nontaxable transaction carries over to the new
asset acquired
8
Nontaxable Transactions
(slide 4 of 4)
• Depreciation recapture
– Potential recapture from the asset surrendered
carries over to the new asset acquired in the
transaction
9
Like-Kind Exchanges
(slide 1 of 11)
• §1031 requires nontaxable treatment for gains
and losses when:
– Form of transaction is an exchange
– Assets involved are used in trade or business or
held for production of income
• However, inventory, securities, and partnership
interests do not qualify
– Asset exchanged must be like-kind in nature or
character as replacement property
10
Like-Kind Exchanges
(slide 2 of 11)
• Like-kind property defined
– Interpreted very broadly
• Real estate for real estate
– Improved for unimproved realty qualifies
– U.S. realty for foreign realty does not qualify
• Tangible personalty for tangible personalty
– Must be within the same general business asset or product
class
– Personalty used mainly in the U.S. for personalty used mainly
outside the U.S. does not qualify
– Livestock of different sexes does not qualify
11
Like-Kind Exchanges
(slide 3 of 11)
• When taxpayers involved in an exchange are
related parties
– To qualify for nontaxable exchange treatment,
related parties must not dispose of property
exchanged within the 2 year period following
exchange
– If such early disposition occurs, postponed gain is
recognized as of date of early disposition
• Dispositions due to death, involuntary conversions, and
certain non-tax avoidance transactions are not treated as
early dispositions
12
Like-Kind Exchanges
(slide 4 of 11)
• Exchange requirement
– The transaction must involve a direct exchange of
property to qualify as a like-kind exchange
– If the exchange is a delayed (nonsimultaneous)
exchange, there are time limits on its completion
• The new property must be identified within 45 days of
date old property was transferred
• The new property must be received by the earlier of the
following:
– Within 180 days of date old property was transferred
– The due date (including extensions) for tax return covering
year of transfer
13
Like-Kind Exchanges
(slide 5 of 11)
• Boot
– Any property involved in the exchange that is not
like-kind property is “boot”
– The receipt of boot causes gain recognition equal
to the lesser of boot received (FMV) or gain
realized
• No loss is recognized even when boot is received
14
Like-Kind Exchanges
(slide 6 of 11)
• Boot
– The transferor of boot property may recognize gain
or loss on that property
• Gain or loss is recognized to the extent of the difference
between the adjusted basis and the fair market value of
the boot
15
Like-Kind Exchanges
(slide 7 of 11)
• Basis in like-kind asset received:
FMV of new asset
– Gain not recognized
+ Loss not recognized
= Basis in new asset
• Basis in boot received is FMV of property
16
Like-Kind Exchanges
(slide 8 of 11)
• Basis in like-kind property using Code
approach
Adjusted basis of like-kind asset given
+ Adjusted basis of boot given
+ Gain recognized
– FMV of boot received
– Loss recognized
= Basis in new asset
17
Like-Kind Exchanges
(slide 9 of 11)
• Example of an exchange with boot:
– Zak and Vira exchange equipment of same general
business asset class
– Zak: Basis = $25,000; FMV = $40,000
– Vira: Basis = $20,000; FMV = $30,000
– Vira also gives securities: Basis = $7,000;
FMV = $10,000
18
Like-Kind Exchanges
(slide 10 of 11)
Example (Cont’d)
Zak Vira
FMV Property Rec’d $30,000 $40,000
+Securities 10,000 -0-
Total FMV Rec’d $40,000 $40,000
Less: Basis Property Given 25,000 30,000 *
Realized Gain $15,000 $10,000
Boot Rec’d $10,000 $ -0-
Gain Recognized $10,000 $ -0-
*$20,000 Equip. + $10,000 Securities = $30,000
Securities: ($10,000 FMV - $7,000 basis) = $3,000 gain
recognized by Vira
19
Like-Kind Exchanges
(slide 11 of 11)
Example (Cont’d)
Zak Vira
FMV Property Rec’d $30,000 $40,000
Postponed Gain -5,000 -10,000
Basis Property Rec’d $25,000 $30,000
20
Involuntary Conversions
(slide 1 of 13)
• §1033 permits (i.e., not mandatory) nontaxable
treatment of gains if the amount reinvested in
replacement property ≥ the amount realized
• If the amount reinvested in replacement
property is < amount realized, realized gain is
recognized to the extent of the deficiency
21
Involuntary Conversions
(slide 2 of 13)
• Involuntary conversion
– Results from the destruction, theft, seizure,
requisition, condemnation, or sale or exchange
under threat of condemnation of property
• A voluntary act by taxpayer is not an involuntary
conversion
22
Involuntary Conversions
(slide 3 of 13)
• §1033 requirements
– Replacement property must be similar or related in
service or use as involuntarily converted property
– Replacement property must be acquired within a
specified time period
23
Involuntary Conversions
(slide 4 of 13)
• Replacement property defined
– Must be similar or related in service or use as the
converted property
• Definition is interpreted very narrowly and differently
for owner-investor than for owner-user
– For business or investment real estate that is
condemned, replacement property has same
meaning as for like-kind exchanges
24
Involuntary Conversions
(slide 5 of 13)
• Taxpayer use test (owner-investor)
– The properties must be used by the owner in
similar endeavors
• Example: Rental apartment building can be replaced
with a rental office building because both have same use
to owner (the production of rental income)
25
Involuntary Conversions
(slide 6 of 13)
• Functional use test (owner-user)
– The property must have the same use to the owner
as the converted property
• Example: A manufacturing plant is not replacement
property for a wholesale grocery warehouse because
each has a different function to the owner-user
26
Involuntary Conversions
(slide 7 of 13)
• Time period for replacement
– Taxpayer normally has a 2 year period after the
close of the taxable year in which gain is realized
to replace the property
• Replacement time period starts when involuntary
conversion or threat of condemnation occurs
• Replacement time period ends 2 years (3 years for
condemnation of realty) after the close of the taxable
year in which gain is realized
27
Involuntary Conversions
(slide 8 of 13)
• Example of time period for replacement
– Taxpayer’s office building is destroyed by fire on
November 4, 2012
– Taxpayer receives insurance proceeds on February
10, 2013
– Taxpayer is a calendar-year taxpayer
– Taxpayer’s replacement period is from November
4, 2012 to December 31, 2015
28
Involuntary Conversions
(slide 9 of 13)
• Nonrecognition of gain: Direct conversions
– Involuntary conversion rules mandatory
– Basis and holding period in replacement property
same as converted property
29
Involuntary Conversions
(slide 10 of 13)
• Nonrecognition of gain: Indirect conversions
– Involuntary conversion rules elective
– Gain recognized to extent amount realized (usually
insurance proceeds) exceeds investment in
replacement property
30
Involuntary Conversions
(slide 11 of 13)
• Nonrecognition of gain: Indirect conversions
– Basis in replacement property is its cost less
deferred gain
– Holding period includes that of converted property
31
Involuntary Conversions
(slide 12 of 13)
• Involuntary conversion rules do not apply to
losses
– Losses related to business and production of
income properties are recognized
– Personal casualty and theft losses are recognized
(subject to $100 floor and 10% AGI limit);
personal use asset condemnation losses are not
recognized or postponed
32
Involuntary Conversions
(slide 13 of 13)
• Involuntary conversion of personal residence
– Gain from casualty, theft, or condemnation may be
deferred as involuntary conversion (§1033) or
excluded as sale of residence (§121)
– Loss from casualty recognized (limited); loss from
condemnation not recognized
33
Example 18 - Involuntary Conversion (slide 1 of 3)
• Walt’s business building (adjusted basis $50,000) is
destroyed by fire on October 5, 2014.
– Walt is a calendar year taxpayer.
• On November 17, 2014, he receives an insurance
reimbursement of $100,000 for the loss.
– Walt invests $80,000 in a new building.
– Walt uses the other $20,000 of insurance proceeds to pay
off credit card debt.
34
Example 18 - Involuntary Conversion (slide 2 of 3)
• Walt has until December 31, 2016, to make the
new investment and qualify for the
nonrecognition election.
• Walt’s realized gain is $50,000
– $100,000 insurance proceeds received − $50,000
adjusted basis of old building
• Assuming that the replacement property
qualifies, Walt’s recognized gain is $20,000.
– $100,000 insurance proceeds − $80,000 reinvested
35
Example 18 - Involuntary Conversion (slide 3 of 3)
• Walt’s basis in the new building is $50,000.
– This is the building’s cost of $80,000 less postponed gain
of $30,000
• $50,000 realized gain − $20,000 recognized gain
• The computation of realization, recognition, and basis
would apply even if Walt was a real estate dealer and
the building destroyed by fire was part of his
inventory.
– Unlike § 1031, § 1033 generally does not exclude
inventory.
• For this $30,000 of realized gain to be postponed,
Walt must elect § 1033 deferral treatment.
36
Example 19 - Involuntary Conversion
• Assume the same facts as in the previous example, except that
Walt receives only $45,000 of insurance proceeds.
– He has a realized and recognized loss of $5,000.
– The basis of the new building is the building’s cost of $80,000.
• If the destroyed building had been held for personal use, the
recognized loss would have been subject to the following
additional limitations.
– The loss of $5,000 would have been limited to the decline in fair
market value of the property, and
– The amount of the loss would have been reduced first by $100 and
then by 10% of AGI (refer to Chapter 7).
37
Sale of Residence
(slide 1 of 7)
• Loss on sale
– As with other personal use assets, a realized loss
on the sale of a personal residence is not
recognized
38
Sale of Residence
(slide 2 of 7)
• Gain on sale
– Realized gain on sale of principal residence is
subject to taxation
– Realized gain may be partly or wholly excluded
under §121
39
Sale of Residence
(slide 3 of 7)
• §121 provides for exclusion of up to $250,000
of gain on the sale of a principal residence
• Taxpayer must own and use as principal residence for at
least 2 years during the 5 year period ending on date of
sale
40
Sale of Residence
(slide 4 of 7)
• Amount of Exclusion
– $250,000 maximum
– Realized gain is calculated in normal manner
– Amount realized on sale is reduced by selling
expenses such as advertising, broker’s
commissions, and legal fees
41
Sale of Residence
(slide 5 of 7)
• Amount of Exclusion (cont’d)
– For a married couple filing jointly, the $250,000 max is
increased to $500,000 if the following requirements are
met:
• Either spouse meets the 2 year ownership req’t,
• Both spouses meet the 2 year use req’t,
• Neither spouse is ineligible due to the sale of another principal
residence within the prior 2 years
– Starting in 2008, a surviving spouse can continue to use the
$500,000 exclusion amount on the sale of a personal
residence for the next two years following the year of the
deceased spouse’s death
42
Sale of Residence
(slide 6 of 7)
• §121 cannot be used within 2 years of its last use
except in special situations, such as:
• Change in place of employment,
• Health,
• Other unforeseen circumstances
• Under these circumstances, only a portion of the
exclusion is available, calculated as follows:
Max Exclusion amount × number of qualifying months
24 months
43
Sale of Residence
(slide 7 of 7)
• The Housing Assistance Tax Act of 2008
reduces the gain eligible for the § 121
exclusion for a vacation home converted to a
principal residence
– § 121 exclusion is reduced by the proportion of the
periods of nonqualified use compared to the period
the property was owned by the taxpayer
– Applies to sales and exchanges occurring after
December 31, 2008
44
The Big Picture - Example 26
Sale Of A Residence - § 121 (slide 1 of 2)
• Return to the facts of The Big Picture on p. 15-1.
• Recall that one of Alice’s options is to sell her current
house and move into the inherited house.
• Assume that Alice, who is single, sells her current
personal residence (adjusted basis of $130,000) for
$348,000.
– She has owned and lived in the house for 15 years.
– Her selling expenses are $18,000.
– Prior to the sale, Alice pays $1,000 to make some
repairs and paint the two bathrooms.
45
The Big Picture - Example 26
Sale Of A Residence - § 121 (slide 2 of 2)
• Her recognized gain would be calculated as follows:
Amount realized ($348,000 - $18,000) $ 330,000
Adjusted basis (130,000)
Realized gain $ 200,000
§ 121 exclusion (200,000)
Recognized gain $ –0–
• Since the available § 121 exclusion of $250,000
would exceed Alice’s realized gain of $200,000, her
recognized gain would be $0.
46
The Big Picture - Example 27
Sale Of A Residence - § 121
• Continue with The Big Picture and the facts of
Example 26, except that the selling price is $490,000.
Amount realized ($490,000 - $18,000) $ 472,000
Adjusted basis (130,000)
Realized gain $ 342,000
§ 121 exclusion (250,000)
Recognized gain $ 92,000
• Since the realized gain of $342,000 > the § 121
exclusion of $250,000, Alice’s recognized gain would
be $92,000
47
Other Nonrecognition Provisions
(slide 1 of 6)
• Several additional nonrecognition provisions
are available:
– Under §1032, a corporation does not recognize
gain or loss on the receipt of money or other
property in exchange for its stock (including
treasury stock)
48
Other Nonrecognition Provisions
(slide 2 of 6)
• Under §1035, no gain or loss is recognized
from the exchange of certain insurance
contracts or policies
49
Other Nonrecognition Provisions
(slide 3 of 6)
• Under §1036, a shareholder does not recognize
gain or loss on the exchange of common stock
for common stock or preferred stock for
preferred stock in same corporation
50
Other Nonrecognition Provisions
(slide 4 of 6)
• Under §1038, no loss is recognized from the
repossession of real property sold on an
installment basis
– Gain is recognized to a limited extent
51
Other Nonrecognition Provisions
(slide 5 of 6)
• Under §1041, transfers of property between
spouses or former spouses incident to divorce
are nontaxable
52
Other Nonrecognition Provisions
(slide 6 of 6)
• Under §1044, if the amount realized from the
sale of publicly traded securities is reinvested
in common stock or a partnership interest of a
specialized small business investment
company, realized gain is not recognized
– Amounts not reinvested will trigger recognition of
gain to extent of deficiency
– Statutory limits are imposed on the amount of gain
qualified for this treatment
– Only individuals and C corporations qualify
53
Refocus On The Big Picture (slide 1 of 5)
• Alice needs to be aware of the different tax consequences of
her proposals.
• Sale of the inherited house.
– This is by far the simplest transaction for Alice.
– Based on the available data, her recognized gain would be:
Amount realized ($600,000 - $30,000) $ 570,000
Adjusted basis (475,000)
Recognized gain $ 95,000
• Because the sale of the house is not eligible for the § 121
exclusion, the tax liability is $14,250 ($95,000 X 15%).
• Alice’s net cash flow would be $555,750
– $570,000- $14,250.
54
Refocus On The Big Picture (slide 2 of 5)
• Conversion into a vacation home.
– Only personal use.
• With this alternative, the only tax benefit Alice would
receive is the deduction for property taxes .
• She would continue to incur upkeep costs (e.g.,
repairs, utilities, insurance).
• At the end of the 2 year period, the sales results are
similar to those of a current sale.
• The sale of the house would not be eligible for the
§ 121 exclusion.
55
Refocus On The Big Picture (slide 3 of 5)
• Conversion into a vacation home
– 60% personal use and 40% rental use.
• Alice would be able to deduct 40% of the costs
– e.g., Property taxes, agent’s management fee, depreciation,
maintenance and repairs, utilities, and insurance.
– However, this amount cannot exceed the rent income generated.
• The remaining 60% of the property taxes can be claimed as an
itemized deduction.
• At the end of the 2 year period, the sales results would be
similar to those of a current sale.
• In determining recognized gain, adjusted basis must be
reduced by the amount of the depreciation claimed.
• The sale of the house would not be eligible for the § 121
exclusion.
56
Refocus On The Big Picture (slide 4 of 5)
• Sale of present home now with sale of inherited home in 2
years.
• This option would enable Alice to qualify for the § 121
exclusion for each sale.
• She would satisfy the 2 year ownership and the 2 year use
requirements, and the allowance of the § 121 exclusion only
once every 2 years.
• Alice must be careful to occupy the inherited residence for at
least 2 years.
– Also, the period between the sales of the 1st
and 2nd
houses must be
greater than 2 years.
• Qualifying for the § 121 exclusion of up to $250,000 would
allow Alice to avoid any Federal income tax liability.
57
Refocus On The Big Picture (slide 5 of 5)
• With this information, Alice can make an informed
choice.
• In all likelihood, she probably will select the strategy
of selling her current house now and the inherited
house in the future.
• A noneconomic benefit of this option is that she will
have to sell only one house at the time of her
retirement.
© 2015 Cengage Learning. All Rights Reserved. May not be scanned, copied or duplicated, or posted to a publicly accessible website, in whole or in part.
58
If you have any comments or suggestions concerning this
PowerPoint Presentation for South-Western Federal
Taxation, please contact:
Dr. Donald R. Trippeer, CPA
trippedr@oneonta.edu
SUNY Oneonta

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Vol 01 chapter 15 2015

  • 1. © 2015 Cengage Learning. All Rights Reserved. May not be scanned, copied or duplicated, or posted to a publicly accessible website, in whole or in part. Individual Income Taxes 1 Chapter 15 Property Transactions: Nontaxable Exchanges
  • 2. 2 The Big Picture (slide 1 of 3) • Recall the situation introduced in ‘‘The Big Picture’’ in Chapter 14. • Alice has changed her mind about selling the house to her nephew for $275,000. – Due to a recent groundbreaking for an upscale real estate development nearby, the appraised value of the house has increased to $600,000. • Alice has decided she needs to do something with the house other than let it remain vacant.
  • 3. 3 The Big Picture (slide 2 of 3) • She is considering the following options: – Sell the house for approximately $600,000 • Sales commission will be 5%. – Convert the house to a vacation home • It would be 100% personal use by Alice and her family. • Sell it in two years. – Convert the house to a vacation home • Rent it 40% of the time and use it 60% of the time for personal use. • Sell it in two years. – Sell her current home and move into the inherited house. • She has owned and lived in the current home for 15 years • Her gain on the sale would be about $200,000. • Since she is nearing retirement, she would live in the inherited house for the required 2 year minimum period and then sell it.
  • 4. 4 The Big Picture (slide 3 of 3) • Alice expects the inherited house to continue to appreciate in value by about 5% per year. • She plans on retiring in two years and moving to a warmer climate. – Until then, she is neutral as to which house she lives in. • What advice can you offer Alice? • Read the chapter and formulate your response.
  • 5. 5 Nontaxable Transactions (slide 1 of 4) • In a nontaxable transaction, realized gain or loss is not currently recognized – Recognition is postponed to a future date (via a carryover basis) rather than eliminated
  • 6. 6 Nontaxable Transactions (slide 2 of 4) • In a tax-free transaction, nonrecognition of realized gain is permanent
  • 7. 7 Nontaxable Transactions (slide 3 of 4) • Holding period for new asset – The holding period of the asset surrendered in a nontaxable transaction carries over to the new asset acquired
  • 8. 8 Nontaxable Transactions (slide 4 of 4) • Depreciation recapture – Potential recapture from the asset surrendered carries over to the new asset acquired in the transaction
  • 9. 9 Like-Kind Exchanges (slide 1 of 11) • §1031 requires nontaxable treatment for gains and losses when: – Form of transaction is an exchange – Assets involved are used in trade or business or held for production of income • However, inventory, securities, and partnership interests do not qualify – Asset exchanged must be like-kind in nature or character as replacement property
  • 10. 10 Like-Kind Exchanges (slide 2 of 11) • Like-kind property defined – Interpreted very broadly • Real estate for real estate – Improved for unimproved realty qualifies – U.S. realty for foreign realty does not qualify • Tangible personalty for tangible personalty – Must be within the same general business asset or product class – Personalty used mainly in the U.S. for personalty used mainly outside the U.S. does not qualify – Livestock of different sexes does not qualify
  • 11. 11 Like-Kind Exchanges (slide 3 of 11) • When taxpayers involved in an exchange are related parties – To qualify for nontaxable exchange treatment, related parties must not dispose of property exchanged within the 2 year period following exchange – If such early disposition occurs, postponed gain is recognized as of date of early disposition • Dispositions due to death, involuntary conversions, and certain non-tax avoidance transactions are not treated as early dispositions
  • 12. 12 Like-Kind Exchanges (slide 4 of 11) • Exchange requirement – The transaction must involve a direct exchange of property to qualify as a like-kind exchange – If the exchange is a delayed (nonsimultaneous) exchange, there are time limits on its completion • The new property must be identified within 45 days of date old property was transferred • The new property must be received by the earlier of the following: – Within 180 days of date old property was transferred – The due date (including extensions) for tax return covering year of transfer
  • 13. 13 Like-Kind Exchanges (slide 5 of 11) • Boot – Any property involved in the exchange that is not like-kind property is “boot” – The receipt of boot causes gain recognition equal to the lesser of boot received (FMV) or gain realized • No loss is recognized even when boot is received
  • 14. 14 Like-Kind Exchanges (slide 6 of 11) • Boot – The transferor of boot property may recognize gain or loss on that property • Gain or loss is recognized to the extent of the difference between the adjusted basis and the fair market value of the boot
  • 15. 15 Like-Kind Exchanges (slide 7 of 11) • Basis in like-kind asset received: FMV of new asset – Gain not recognized + Loss not recognized = Basis in new asset • Basis in boot received is FMV of property
  • 16. 16 Like-Kind Exchanges (slide 8 of 11) • Basis in like-kind property using Code approach Adjusted basis of like-kind asset given + Adjusted basis of boot given + Gain recognized – FMV of boot received – Loss recognized = Basis in new asset
  • 17. 17 Like-Kind Exchanges (slide 9 of 11) • Example of an exchange with boot: – Zak and Vira exchange equipment of same general business asset class – Zak: Basis = $25,000; FMV = $40,000 – Vira: Basis = $20,000; FMV = $30,000 – Vira also gives securities: Basis = $7,000; FMV = $10,000
  • 18. 18 Like-Kind Exchanges (slide 10 of 11) Example (Cont’d) Zak Vira FMV Property Rec’d $30,000 $40,000 +Securities 10,000 -0- Total FMV Rec’d $40,000 $40,000 Less: Basis Property Given 25,000 30,000 * Realized Gain $15,000 $10,000 Boot Rec’d $10,000 $ -0- Gain Recognized $10,000 $ -0- *$20,000 Equip. + $10,000 Securities = $30,000 Securities: ($10,000 FMV - $7,000 basis) = $3,000 gain recognized by Vira
  • 19. 19 Like-Kind Exchanges (slide 11 of 11) Example (Cont’d) Zak Vira FMV Property Rec’d $30,000 $40,000 Postponed Gain -5,000 -10,000 Basis Property Rec’d $25,000 $30,000
  • 20. 20 Involuntary Conversions (slide 1 of 13) • §1033 permits (i.e., not mandatory) nontaxable treatment of gains if the amount reinvested in replacement property ≥ the amount realized • If the amount reinvested in replacement property is < amount realized, realized gain is recognized to the extent of the deficiency
  • 21. 21 Involuntary Conversions (slide 2 of 13) • Involuntary conversion – Results from the destruction, theft, seizure, requisition, condemnation, or sale or exchange under threat of condemnation of property • A voluntary act by taxpayer is not an involuntary conversion
  • 22. 22 Involuntary Conversions (slide 3 of 13) • §1033 requirements – Replacement property must be similar or related in service or use as involuntarily converted property – Replacement property must be acquired within a specified time period
  • 23. 23 Involuntary Conversions (slide 4 of 13) • Replacement property defined – Must be similar or related in service or use as the converted property • Definition is interpreted very narrowly and differently for owner-investor than for owner-user – For business or investment real estate that is condemned, replacement property has same meaning as for like-kind exchanges
  • 24. 24 Involuntary Conversions (slide 5 of 13) • Taxpayer use test (owner-investor) – The properties must be used by the owner in similar endeavors • Example: Rental apartment building can be replaced with a rental office building because both have same use to owner (the production of rental income)
  • 25. 25 Involuntary Conversions (slide 6 of 13) • Functional use test (owner-user) – The property must have the same use to the owner as the converted property • Example: A manufacturing plant is not replacement property for a wholesale grocery warehouse because each has a different function to the owner-user
  • 26. 26 Involuntary Conversions (slide 7 of 13) • Time period for replacement – Taxpayer normally has a 2 year period after the close of the taxable year in which gain is realized to replace the property • Replacement time period starts when involuntary conversion or threat of condemnation occurs • Replacement time period ends 2 years (3 years for condemnation of realty) after the close of the taxable year in which gain is realized
  • 27. 27 Involuntary Conversions (slide 8 of 13) • Example of time period for replacement – Taxpayer’s office building is destroyed by fire on November 4, 2012 – Taxpayer receives insurance proceeds on February 10, 2013 – Taxpayer is a calendar-year taxpayer – Taxpayer’s replacement period is from November 4, 2012 to December 31, 2015
  • 28. 28 Involuntary Conversions (slide 9 of 13) • Nonrecognition of gain: Direct conversions – Involuntary conversion rules mandatory – Basis and holding period in replacement property same as converted property
  • 29. 29 Involuntary Conversions (slide 10 of 13) • Nonrecognition of gain: Indirect conversions – Involuntary conversion rules elective – Gain recognized to extent amount realized (usually insurance proceeds) exceeds investment in replacement property
  • 30. 30 Involuntary Conversions (slide 11 of 13) • Nonrecognition of gain: Indirect conversions – Basis in replacement property is its cost less deferred gain – Holding period includes that of converted property
  • 31. 31 Involuntary Conversions (slide 12 of 13) • Involuntary conversion rules do not apply to losses – Losses related to business and production of income properties are recognized – Personal casualty and theft losses are recognized (subject to $100 floor and 10% AGI limit); personal use asset condemnation losses are not recognized or postponed
  • 32. 32 Involuntary Conversions (slide 13 of 13) • Involuntary conversion of personal residence – Gain from casualty, theft, or condemnation may be deferred as involuntary conversion (§1033) or excluded as sale of residence (§121) – Loss from casualty recognized (limited); loss from condemnation not recognized
  • 33. 33 Example 18 - Involuntary Conversion (slide 1 of 3) • Walt’s business building (adjusted basis $50,000) is destroyed by fire on October 5, 2014. – Walt is a calendar year taxpayer. • On November 17, 2014, he receives an insurance reimbursement of $100,000 for the loss. – Walt invests $80,000 in a new building. – Walt uses the other $20,000 of insurance proceeds to pay off credit card debt.
  • 34. 34 Example 18 - Involuntary Conversion (slide 2 of 3) • Walt has until December 31, 2016, to make the new investment and qualify for the nonrecognition election. • Walt’s realized gain is $50,000 – $100,000 insurance proceeds received − $50,000 adjusted basis of old building • Assuming that the replacement property qualifies, Walt’s recognized gain is $20,000. – $100,000 insurance proceeds − $80,000 reinvested
  • 35. 35 Example 18 - Involuntary Conversion (slide 3 of 3) • Walt’s basis in the new building is $50,000. – This is the building’s cost of $80,000 less postponed gain of $30,000 • $50,000 realized gain − $20,000 recognized gain • The computation of realization, recognition, and basis would apply even if Walt was a real estate dealer and the building destroyed by fire was part of his inventory. – Unlike § 1031, § 1033 generally does not exclude inventory. • For this $30,000 of realized gain to be postponed, Walt must elect § 1033 deferral treatment.
  • 36. 36 Example 19 - Involuntary Conversion • Assume the same facts as in the previous example, except that Walt receives only $45,000 of insurance proceeds. – He has a realized and recognized loss of $5,000. – The basis of the new building is the building’s cost of $80,000. • If the destroyed building had been held for personal use, the recognized loss would have been subject to the following additional limitations. – The loss of $5,000 would have been limited to the decline in fair market value of the property, and – The amount of the loss would have been reduced first by $100 and then by 10% of AGI (refer to Chapter 7).
  • 37. 37 Sale of Residence (slide 1 of 7) • Loss on sale – As with other personal use assets, a realized loss on the sale of a personal residence is not recognized
  • 38. 38 Sale of Residence (slide 2 of 7) • Gain on sale – Realized gain on sale of principal residence is subject to taxation – Realized gain may be partly or wholly excluded under §121
  • 39. 39 Sale of Residence (slide 3 of 7) • §121 provides for exclusion of up to $250,000 of gain on the sale of a principal residence • Taxpayer must own and use as principal residence for at least 2 years during the 5 year period ending on date of sale
  • 40. 40 Sale of Residence (slide 4 of 7) • Amount of Exclusion – $250,000 maximum – Realized gain is calculated in normal manner – Amount realized on sale is reduced by selling expenses such as advertising, broker’s commissions, and legal fees
  • 41. 41 Sale of Residence (slide 5 of 7) • Amount of Exclusion (cont’d) – For a married couple filing jointly, the $250,000 max is increased to $500,000 if the following requirements are met: • Either spouse meets the 2 year ownership req’t, • Both spouses meet the 2 year use req’t, • Neither spouse is ineligible due to the sale of another principal residence within the prior 2 years – Starting in 2008, a surviving spouse can continue to use the $500,000 exclusion amount on the sale of a personal residence for the next two years following the year of the deceased spouse’s death
  • 42. 42 Sale of Residence (slide 6 of 7) • §121 cannot be used within 2 years of its last use except in special situations, such as: • Change in place of employment, • Health, • Other unforeseen circumstances • Under these circumstances, only a portion of the exclusion is available, calculated as follows: Max Exclusion amount × number of qualifying months 24 months
  • 43. 43 Sale of Residence (slide 7 of 7) • The Housing Assistance Tax Act of 2008 reduces the gain eligible for the § 121 exclusion for a vacation home converted to a principal residence – § 121 exclusion is reduced by the proportion of the periods of nonqualified use compared to the period the property was owned by the taxpayer – Applies to sales and exchanges occurring after December 31, 2008
  • 44. 44 The Big Picture - Example 26 Sale Of A Residence - § 121 (slide 1 of 2) • Return to the facts of The Big Picture on p. 15-1. • Recall that one of Alice’s options is to sell her current house and move into the inherited house. • Assume that Alice, who is single, sells her current personal residence (adjusted basis of $130,000) for $348,000. – She has owned and lived in the house for 15 years. – Her selling expenses are $18,000. – Prior to the sale, Alice pays $1,000 to make some repairs and paint the two bathrooms.
  • 45. 45 The Big Picture - Example 26 Sale Of A Residence - § 121 (slide 2 of 2) • Her recognized gain would be calculated as follows: Amount realized ($348,000 - $18,000) $ 330,000 Adjusted basis (130,000) Realized gain $ 200,000 § 121 exclusion (200,000) Recognized gain $ –0– • Since the available § 121 exclusion of $250,000 would exceed Alice’s realized gain of $200,000, her recognized gain would be $0.
  • 46. 46 The Big Picture - Example 27 Sale Of A Residence - § 121 • Continue with The Big Picture and the facts of Example 26, except that the selling price is $490,000. Amount realized ($490,000 - $18,000) $ 472,000 Adjusted basis (130,000) Realized gain $ 342,000 § 121 exclusion (250,000) Recognized gain $ 92,000 • Since the realized gain of $342,000 > the § 121 exclusion of $250,000, Alice’s recognized gain would be $92,000
  • 47. 47 Other Nonrecognition Provisions (slide 1 of 6) • Several additional nonrecognition provisions are available: – Under §1032, a corporation does not recognize gain or loss on the receipt of money or other property in exchange for its stock (including treasury stock)
  • 48. 48 Other Nonrecognition Provisions (slide 2 of 6) • Under §1035, no gain or loss is recognized from the exchange of certain insurance contracts or policies
  • 49. 49 Other Nonrecognition Provisions (slide 3 of 6) • Under §1036, a shareholder does not recognize gain or loss on the exchange of common stock for common stock or preferred stock for preferred stock in same corporation
  • 50. 50 Other Nonrecognition Provisions (slide 4 of 6) • Under §1038, no loss is recognized from the repossession of real property sold on an installment basis – Gain is recognized to a limited extent
  • 51. 51 Other Nonrecognition Provisions (slide 5 of 6) • Under §1041, transfers of property between spouses or former spouses incident to divorce are nontaxable
  • 52. 52 Other Nonrecognition Provisions (slide 6 of 6) • Under §1044, if the amount realized from the sale of publicly traded securities is reinvested in common stock or a partnership interest of a specialized small business investment company, realized gain is not recognized – Amounts not reinvested will trigger recognition of gain to extent of deficiency – Statutory limits are imposed on the amount of gain qualified for this treatment – Only individuals and C corporations qualify
  • 53. 53 Refocus On The Big Picture (slide 1 of 5) • Alice needs to be aware of the different tax consequences of her proposals. • Sale of the inherited house. – This is by far the simplest transaction for Alice. – Based on the available data, her recognized gain would be: Amount realized ($600,000 - $30,000) $ 570,000 Adjusted basis (475,000) Recognized gain $ 95,000 • Because the sale of the house is not eligible for the § 121 exclusion, the tax liability is $14,250 ($95,000 X 15%). • Alice’s net cash flow would be $555,750 – $570,000- $14,250.
  • 54. 54 Refocus On The Big Picture (slide 2 of 5) • Conversion into a vacation home. – Only personal use. • With this alternative, the only tax benefit Alice would receive is the deduction for property taxes . • She would continue to incur upkeep costs (e.g., repairs, utilities, insurance). • At the end of the 2 year period, the sales results are similar to those of a current sale. • The sale of the house would not be eligible for the § 121 exclusion.
  • 55. 55 Refocus On The Big Picture (slide 3 of 5) • Conversion into a vacation home – 60% personal use and 40% rental use. • Alice would be able to deduct 40% of the costs – e.g., Property taxes, agent’s management fee, depreciation, maintenance and repairs, utilities, and insurance. – However, this amount cannot exceed the rent income generated. • The remaining 60% of the property taxes can be claimed as an itemized deduction. • At the end of the 2 year period, the sales results would be similar to those of a current sale. • In determining recognized gain, adjusted basis must be reduced by the amount of the depreciation claimed. • The sale of the house would not be eligible for the § 121 exclusion.
  • 56. 56 Refocus On The Big Picture (slide 4 of 5) • Sale of present home now with sale of inherited home in 2 years. • This option would enable Alice to qualify for the § 121 exclusion for each sale. • She would satisfy the 2 year ownership and the 2 year use requirements, and the allowance of the § 121 exclusion only once every 2 years. • Alice must be careful to occupy the inherited residence for at least 2 years. – Also, the period between the sales of the 1st and 2nd houses must be greater than 2 years. • Qualifying for the § 121 exclusion of up to $250,000 would allow Alice to avoid any Federal income tax liability.
  • 57. 57 Refocus On The Big Picture (slide 5 of 5) • With this information, Alice can make an informed choice. • In all likelihood, she probably will select the strategy of selling her current house now and the inherited house in the future. • A noneconomic benefit of this option is that she will have to sell only one house at the time of her retirement.
  • 58. © 2015 Cengage Learning. All Rights Reserved. May not be scanned, copied or duplicated, or posted to a publicly accessible website, in whole or in part. 58 If you have any comments or suggestions concerning this PowerPoint Presentation for South-Western Federal Taxation, please contact: Dr. Donald R. Trippeer, CPA trippedr@oneonta.edu SUNY Oneonta