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Chapter 10
Partnership Taxation


     Income Tax Fundamentals 2012

              Gerald E. Whittenburg
                 Martha Altus-Buller


                     2012 Cengage Learning
Learning Objectives

   Define a partnership for tax purposes
   Understand basic tax rules for forming and
    operating a partnership, as well as partnership
    income reporting
   Describe tax treatment of distributions
   Determine partnership tax years
   Identify tax treatment of transactions between
    partners and partnerships
   Understand application of at-risk rules
   Analyze pros/cons of limited liability companies

                                      2012 Cengage Learning
Nature of Partnership Taxation
  Partnerships must file an informational
  tax return called Form 1065
   ◦ Partnership itself does not pay tax; rather,
     income/expenses ‘flow through’ to partners
   ◦ Partnership income taxable to partner, even if
     he/she does not receive cash!!
  Partnershipsmust make various elections
  (depreciation and inventory methods, for
  example)

                                       2012 Cengage Learning
What is a Partnership?
 A partnership  is a syndicate, group, pool,
  joint venture or other unincorporated
  organization through which any business,
  financial operation or venture is carried
 Partnerships are legal entities under civil
  law
 In most states they have rights under
  Uniform Partnership Act


                                2012 Cengage Learning
Partnership Agreement
 Canform general partnership by simple verbal
 agreement
 ◦ However, prudent to document agreement in writing
 ◦ General partners usually take on risk of legal liability
   for certain partnership actions and debts
 ◦ Limited liability partnerships (LLPs) or Limited Liability
   Companies (LLCs) limit some of that exposure
 LLPs  and LLCs are required to register with
 state in which they are formed

                                         2012 Cengage Learning
Partnership Formation
 When   forming a partnership, individuals
  contribute assets to partnership in exchange for a
  partnership interest
 No gain/loss is usually recognized
 Exceptions include
 ◦ When services are performed in exchange for partnership
   interest
 ◦ When property is contributed with liabilities in excess of
   basis, then

  Recognized Gain = Liabilities Allocable to Others – Adjusted
   Basis of Property Contributed

                                          2012 Cengage Learning
Partnership Formation
Partner’s basis in partnership interest



            Cash contributed
  plus:     Basis of property transferred to
            partnership
  plus:     Gain recognized (from prior screen)
  less:     Liabilities allocable to other partners
  Equals:   Partner’s initial basis in partnership

                                  2012 Cengage Learning
Example #1 –
   Partnership Formation
Example
Anna contributes four wind turbines with a
 $100,000 fair market value (FMV) for a 50%
 interest in JSC Partnership. The equipment has
 an adjusted basis of $45,000 and a $12,000
 note against it, Anna also renders legal services
 valued at $13,000. What is Anna’s basis in the
 partnership interest? Does she recognize any
 taxable gain on this transaction?


                                   2012 Cengage Learning
Solution
Example
Anna contributes wind turbines with a $100,000 FMV for a 50%
  interest in JSC Partnership. The equipment has an adjusted basis
  of $45,000 and a $12,000 note against it, Anna also renders legal
  services valued at $13,000. What is Anna’s basis in the partnership
  interest? Does she recognize any taxable gain on this transaction?

Solution
Anna must report $13,000 of ordinary income because of services
  performed. The liability (mortgage) allocable to other partners
  ($6,000) does not exceed the basis of the property contributed, so
  no gain recognition. Her basis in the partnership interest is
  calculated as follows: $52,000 = 45,000 + 13,000 - .50(12,000)
  Anna’s partnership basis = adjusted basis in equipment
                               + income recognized
                               - liability assumed by other partner

                                                         2012 Cengage Learning
Example #2 –
   Partnership Formation
Example
Leisle contributes raw land with a FMV of
  $2,000,000 for 60% interest in Fuel Cell Tech
  LLP. The land has a basis of $450,000 and a
  mortgage of $1,200,000. What is Leisle’s
  basis in the partnership interest and does
  she have any taxable gain on this
  transaction?




                                  2012 Cengage Learning
Solution
Example
Leisle contributes raw land with a FMV of $2,000,000 for 60% interest
  in Fuel Cell Tech LLP. The land has a basis of $450,000 and a
  mortgage of $1,200,000. What is Leisle’s basis in the partnership
  interest and does she have any taxable gain on this transaction?

Solution
Leisle has contributed property with liabilities assumed by other
  partners in excess of basis, so her taxable gain is [($1,200,000 x
  40%) - $450,000] = $30,000

Leisle’s basis in her partnership interest equals $0.
     $450,000 + $30,000 – .40($1,200,000)
  Her adjusted basis in raw land + gain recognized - liability assumed by other partners



                                                             2012 Cengage Learning
Changes in Partner’s Basis
Changes occur to partner’s basis due to subsequent activities
       Beginning Basis
+      Additional Contributions
+      Share of Net Ordinary Taxable Income
+      Share of Capital Gains/Other Income
-      Distributions of Property or Cash
-      Share of Net Loss from Operations*
-      Share of Capital Losses/Other Deductions
+/-    Increase/Decrease in Liabilities
   Basis in Partnership Interest

*Note: Can’t take basis below 0 and must comply with at-risk limitations




                                                       2012 Cengage Learning
Example –
        Basis Adjustments
Example
Suresh and Kia enter into a partnership, sharing
 equally in the profits and losses. Suresh
 contributes land with a $70,000 basis and
 $150,000 FMV. Subsequent to formation, the
 partnership incurred liabilities = $130,000 and the
 partnership income for 2011 totaled $42,000.
 What is Suresh’s basis in the partnership interest
 at year-end?



                                     2012 Cengage Learning
Solution
Example
Suresh and Kia enter into a partnership, sharing equally
  in the profits and losses. Suresh contributes land with
  a $70,000 basis and $150,000 FMV. Subsequent to
  formation, the partnership incurred liabilities =
  $130,000 and the partnership income for 2011 totaled
  $42,000.
  What is Suresh’s basis in the partnership interest at
  year-end?

Solution
 $70,000 + .50($130,000) + .50($42,000) = $156,000

  Beginning balance + 50% liabilities + 50% net income



                                                 2012 Cengage Learning
Partnership Income Reporting
    Partnerships do not pay tax
     ◦ All information flows through to be reported by the partners
     ◦ Tax return is due by the 15th of the 4th month following
       close of partnership tax year

    Must report each element of income and expense
     separately on Form 1065 (Partnership Tax Return)
     ◦ Schedule K-1 shows allocable partnership
       income/expenses for each partner, based upon the
       individual ownership percentage
        Ordinary income/loss
        Special income/deduction items such as charitable deductions,
         interest, capital gains/losses

                                                  2012 Cengage Learning
Partnership Income Reporting
  Income   and expenses flow through to
   individual’s tax return
  On the individual partner’s tax return the
   deductible losses from partnership activities
   are limited to basis in partnership interest
  ◦ Cannot reduce basis below zero
  ◦ Carry forward any unused losses to subsequent
    years (when there may be additional basis with
    which to absorb loss!)


                                    2012 Cengage Learning
1099-K Reporting Merchant
Card and Third-Party Payments
 Banksand online payments networks (like
 PayPal) are required to send 1099-Ks to all
 merchants with more than $20,000 of sales and
 more than 200 transactions
 The  partnership, LLC or corporation will report
 this income on Line 1 of their tax return



                                   2012 Cengage Learning
Current Distributions

 Partnerships
             may make distributions of
 money or other property to partners
 ◦ A current distribution is one that does not
   completely terminate a partner’s interest
 ◦ No gain recognized by partner, unless
   partner’s basis in partnership has reached
   zero
    Then, only the portion of the current
     distribution that is in excess of partner’s basis
     is taxed

                                         2012 Cengage Learning
Guaranteed Payments
 Amount  that a partner receives for services
 rendered or use of partner’s capital is
 called a guaranteed payment
 ◦ Guaranteed payments are made regardless of
   income/loss situation of partnership
 ◦ Guaranteed payments are subtracted before
   partnership taxable income/loss is allocated to
   partners
 ◦ Guaranteed payments are taxable ordinary
   income to partner and deductible by partnership

                                   2012 Cengage Learning
Tax Years & Partnerships
 IRSestablishes rigid rules pertaining to tax
 years as follows:
  o Unless it can show bona fide business purpose for
    adopting another fiscal year-end, the partnership must
    adopt the same tax year as the majority of the
    partners
  o If this is not possible, it must adopt same tax year as
    majority of the principal partners
  o If neither of these work, partnership must use the
    least aggregate deferral method (see major tax
    service for more information)


                                          2012 Cengage Learning
Transactions Between
Partners & Partnerships
   Generally, transactions between partners and the
    partnership are not regarded as related party
    transactions
   However, if a partner with more than 50% direct or
    indirect ownership* sells assets to the partnership (or
    two partnerships with > 50% ownership by same
    partner)
    ◦ And a gain results: it is taxed as ordinary income
    ◦ And a loss results: the loss is disallowed and any gain on future
      sale of asset by the partnership is reduced by the deferred loss
               *Note: Indirect ownership means “through spouse,
                   siblings, lineal descendants and ancestors”


                                                2012 Cengage Learning
At-Risk Limitations
   Partners cannot deduct losses from activities in excess of
    their investment
    ° Losses limited to amounts at risk (AAR) in those activities
   Definitions
    ◦ A “nonrecourse liability” is a debt for which the borrower is not
      personally liable and doesn’t count towards AAR
    ◦ “Encumbered property” is the property pledged for a liability and
      the adjusted basis is includable in AAR if partner is personally
      liable for repayment of debt
   Taxpayers are at-risk for an amount equal to
         Cash and property contributed to partnership
       + Liabilities on encumbered properties (recourse debt)
       + Liabilities for which taxpayer is personally liable
                                (recourse debt)
       + Retained profits in activity




                                                            2012 Cengage Learning
At-Risk Limitations

 Taxpayer  allowed a loss deduction
 allocable to business activity to the
 extent of:
  ◦ Income received or accrued from activity
    without regard to amount at risk
                    or
  ◦ Taxpayer’s amount at risk at the end of the tax
    year



                                     2012 Cengage Learning
At-Risk Rules &
                Real Estate
 Real  estate acquired before 1987 is not subject
  to at-risk rules
 For real estate acquired after 1986, the amount
  of “qualified nonrecourse financing” is
  considered to be the amount at risk
  ◦ This is defined as debt secured by real estate and
    borrowed from person who regularly engages in the
    lending of money
  ◦ Does not apply to financing from seller or promoter

                                        2012 Cengage Learning
Example
   Real Estate & At-Risk

Example
Jolene invests in real estate and gives $200,000
  cash as a down payment; she also borrows
  $800,000 which is secured by a bank mortgage
  on the property. What is Jolene’s amount at
  risk? Would this answer change if she had
  obtained the mortgage from the seller?




                                2012 Cengage Learning
Solution

Example
Jolene invests in real estate and gives $200,000 cash as
  a down payment; she also borrows $800,000 which is
  secured by a bank mortgage on the property. What is
  Jolene’s amount at risk? Would this answer change if
  she had obtained the mortgage from the seller?

Solution
Jolene has $1,000,000 at risk in this real estate
  investment. If the mortgage had been obtained from
  the seller, her amount at risk would be limited to the
  down payment of $200,000.

                                          2012 Cengage Learning
Limited Liability Companies
   Limited Liability Companies (LLCs) have attributes
    of both partnerships and corporations
   Advantages of LLCs are numerous
    ◦   Taxable income/loss passes through to owners
    ◦   No general partner requirement
    ◦   Owners can participate in management
    ◦   Owners have limited liability
    ◦   LLC ownership interest is not a security
    ◦   Tax attributes pass through to owners
    ◦   Offer greater tax flexibility than S corporations (single
        member LLCs are very common)

                                               2012 Cengage Learning
Limited Liability Companies
   Disadvantages of LLCs
    ◦ Because of newness, limited amount of case law
      dealing with limited liability companies
    ◦ States are not uniform in treatment of LLCs, so potential
      for confusion if LLC is operating in more than one state


    Note: LLCs are quickly becoming a major form of business organization in
      the U.S.




                                                    2012 Cengage Learning
That’s All
             2012 Cengage Learning

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Itf ipp ch10_2012_final

  • 1. Chapter 10 Partnership Taxation Income Tax Fundamentals 2012 Gerald E. Whittenburg Martha Altus-Buller 2012 Cengage Learning
  • 2. Learning Objectives  Define a partnership for tax purposes  Understand basic tax rules for forming and operating a partnership, as well as partnership income reporting  Describe tax treatment of distributions  Determine partnership tax years  Identify tax treatment of transactions between partners and partnerships  Understand application of at-risk rules  Analyze pros/cons of limited liability companies 2012 Cengage Learning
  • 3. Nature of Partnership Taxation  Partnerships must file an informational tax return called Form 1065 ◦ Partnership itself does not pay tax; rather, income/expenses ‘flow through’ to partners ◦ Partnership income taxable to partner, even if he/she does not receive cash!!  Partnershipsmust make various elections (depreciation and inventory methods, for example) 2012 Cengage Learning
  • 4. What is a Partnership?  A partnership is a syndicate, group, pool, joint venture or other unincorporated organization through which any business, financial operation or venture is carried  Partnerships are legal entities under civil law  In most states they have rights under Uniform Partnership Act 2012 Cengage Learning
  • 5. Partnership Agreement  Canform general partnership by simple verbal agreement ◦ However, prudent to document agreement in writing ◦ General partners usually take on risk of legal liability for certain partnership actions and debts ◦ Limited liability partnerships (LLPs) or Limited Liability Companies (LLCs) limit some of that exposure  LLPs and LLCs are required to register with state in which they are formed 2012 Cengage Learning
  • 6. Partnership Formation  When forming a partnership, individuals contribute assets to partnership in exchange for a partnership interest  No gain/loss is usually recognized  Exceptions include ◦ When services are performed in exchange for partnership interest ◦ When property is contributed with liabilities in excess of basis, then Recognized Gain = Liabilities Allocable to Others – Adjusted Basis of Property Contributed 2012 Cengage Learning
  • 7. Partnership Formation Partner’s basis in partnership interest Cash contributed plus: Basis of property transferred to partnership plus: Gain recognized (from prior screen) less: Liabilities allocable to other partners Equals: Partner’s initial basis in partnership 2012 Cengage Learning
  • 8. Example #1 – Partnership Formation Example Anna contributes four wind turbines with a $100,000 fair market value (FMV) for a 50% interest in JSC Partnership. The equipment has an adjusted basis of $45,000 and a $12,000 note against it, Anna also renders legal services valued at $13,000. What is Anna’s basis in the partnership interest? Does she recognize any taxable gain on this transaction? 2012 Cengage Learning
  • 9. Solution Example Anna contributes wind turbines with a $100,000 FMV for a 50% interest in JSC Partnership. The equipment has an adjusted basis of $45,000 and a $12,000 note against it, Anna also renders legal services valued at $13,000. What is Anna’s basis in the partnership interest? Does she recognize any taxable gain on this transaction? Solution Anna must report $13,000 of ordinary income because of services performed. The liability (mortgage) allocable to other partners ($6,000) does not exceed the basis of the property contributed, so no gain recognition. Her basis in the partnership interest is calculated as follows: $52,000 = 45,000 + 13,000 - .50(12,000) Anna’s partnership basis = adjusted basis in equipment + income recognized - liability assumed by other partner 2012 Cengage Learning
  • 10. Example #2 – Partnership Formation Example Leisle contributes raw land with a FMV of $2,000,000 for 60% interest in Fuel Cell Tech LLP. The land has a basis of $450,000 and a mortgage of $1,200,000. What is Leisle’s basis in the partnership interest and does she have any taxable gain on this transaction? 2012 Cengage Learning
  • 11. Solution Example Leisle contributes raw land with a FMV of $2,000,000 for 60% interest in Fuel Cell Tech LLP. The land has a basis of $450,000 and a mortgage of $1,200,000. What is Leisle’s basis in the partnership interest and does she have any taxable gain on this transaction? Solution Leisle has contributed property with liabilities assumed by other partners in excess of basis, so her taxable gain is [($1,200,000 x 40%) - $450,000] = $30,000 Leisle’s basis in her partnership interest equals $0. $450,000 + $30,000 – .40($1,200,000) Her adjusted basis in raw land + gain recognized - liability assumed by other partners 2012 Cengage Learning
  • 12. Changes in Partner’s Basis Changes occur to partner’s basis due to subsequent activities Beginning Basis + Additional Contributions + Share of Net Ordinary Taxable Income + Share of Capital Gains/Other Income - Distributions of Property or Cash - Share of Net Loss from Operations* - Share of Capital Losses/Other Deductions +/- Increase/Decrease in Liabilities Basis in Partnership Interest *Note: Can’t take basis below 0 and must comply with at-risk limitations 2012 Cengage Learning
  • 13. Example – Basis Adjustments Example Suresh and Kia enter into a partnership, sharing equally in the profits and losses. Suresh contributes land with a $70,000 basis and $150,000 FMV. Subsequent to formation, the partnership incurred liabilities = $130,000 and the partnership income for 2011 totaled $42,000. What is Suresh’s basis in the partnership interest at year-end? 2012 Cengage Learning
  • 14. Solution Example Suresh and Kia enter into a partnership, sharing equally in the profits and losses. Suresh contributes land with a $70,000 basis and $150,000 FMV. Subsequent to formation, the partnership incurred liabilities = $130,000 and the partnership income for 2011 totaled $42,000. What is Suresh’s basis in the partnership interest at year-end? Solution $70,000 + .50($130,000) + .50($42,000) = $156,000 Beginning balance + 50% liabilities + 50% net income 2012 Cengage Learning
  • 15. Partnership Income Reporting  Partnerships do not pay tax ◦ All information flows through to be reported by the partners ◦ Tax return is due by the 15th of the 4th month following close of partnership tax year  Must report each element of income and expense separately on Form 1065 (Partnership Tax Return) ◦ Schedule K-1 shows allocable partnership income/expenses for each partner, based upon the individual ownership percentage  Ordinary income/loss  Special income/deduction items such as charitable deductions, interest, capital gains/losses 2012 Cengage Learning
  • 16. Partnership Income Reporting  Income and expenses flow through to individual’s tax return  On the individual partner’s tax return the deductible losses from partnership activities are limited to basis in partnership interest ◦ Cannot reduce basis below zero ◦ Carry forward any unused losses to subsequent years (when there may be additional basis with which to absorb loss!) 2012 Cengage Learning
  • 17. 1099-K Reporting Merchant Card and Third-Party Payments  Banksand online payments networks (like PayPal) are required to send 1099-Ks to all merchants with more than $20,000 of sales and more than 200 transactions  The partnership, LLC or corporation will report this income on Line 1 of their tax return 2012 Cengage Learning
  • 18. Current Distributions  Partnerships may make distributions of money or other property to partners ◦ A current distribution is one that does not completely terminate a partner’s interest ◦ No gain recognized by partner, unless partner’s basis in partnership has reached zero  Then, only the portion of the current distribution that is in excess of partner’s basis is taxed 2012 Cengage Learning
  • 19. Guaranteed Payments  Amount that a partner receives for services rendered or use of partner’s capital is called a guaranteed payment ◦ Guaranteed payments are made regardless of income/loss situation of partnership ◦ Guaranteed payments are subtracted before partnership taxable income/loss is allocated to partners ◦ Guaranteed payments are taxable ordinary income to partner and deductible by partnership 2012 Cengage Learning
  • 20. Tax Years & Partnerships  IRSestablishes rigid rules pertaining to tax years as follows: o Unless it can show bona fide business purpose for adopting another fiscal year-end, the partnership must adopt the same tax year as the majority of the partners o If this is not possible, it must adopt same tax year as majority of the principal partners o If neither of these work, partnership must use the least aggregate deferral method (see major tax service for more information) 2012 Cengage Learning
  • 21. Transactions Between Partners & Partnerships  Generally, transactions between partners and the partnership are not regarded as related party transactions  However, if a partner with more than 50% direct or indirect ownership* sells assets to the partnership (or two partnerships with > 50% ownership by same partner) ◦ And a gain results: it is taxed as ordinary income ◦ And a loss results: the loss is disallowed and any gain on future sale of asset by the partnership is reduced by the deferred loss *Note: Indirect ownership means “through spouse, siblings, lineal descendants and ancestors” 2012 Cengage Learning
  • 22. At-Risk Limitations  Partners cannot deduct losses from activities in excess of their investment ° Losses limited to amounts at risk (AAR) in those activities  Definitions ◦ A “nonrecourse liability” is a debt for which the borrower is not personally liable and doesn’t count towards AAR ◦ “Encumbered property” is the property pledged for a liability and the adjusted basis is includable in AAR if partner is personally liable for repayment of debt  Taxpayers are at-risk for an amount equal to Cash and property contributed to partnership + Liabilities on encumbered properties (recourse debt) + Liabilities for which taxpayer is personally liable (recourse debt) + Retained profits in activity 2012 Cengage Learning
  • 23. At-Risk Limitations  Taxpayer allowed a loss deduction allocable to business activity to the extent of: ◦ Income received or accrued from activity without regard to amount at risk or ◦ Taxpayer’s amount at risk at the end of the tax year 2012 Cengage Learning
  • 24. At-Risk Rules & Real Estate  Real estate acquired before 1987 is not subject to at-risk rules  For real estate acquired after 1986, the amount of “qualified nonrecourse financing” is considered to be the amount at risk ◦ This is defined as debt secured by real estate and borrowed from person who regularly engages in the lending of money ◦ Does not apply to financing from seller or promoter 2012 Cengage Learning
  • 25. Example Real Estate & At-Risk Example Jolene invests in real estate and gives $200,000 cash as a down payment; she also borrows $800,000 which is secured by a bank mortgage on the property. What is Jolene’s amount at risk? Would this answer change if she had obtained the mortgage from the seller? 2012 Cengage Learning
  • 26. Solution Example Jolene invests in real estate and gives $200,000 cash as a down payment; she also borrows $800,000 which is secured by a bank mortgage on the property. What is Jolene’s amount at risk? Would this answer change if she had obtained the mortgage from the seller? Solution Jolene has $1,000,000 at risk in this real estate investment. If the mortgage had been obtained from the seller, her amount at risk would be limited to the down payment of $200,000. 2012 Cengage Learning
  • 27. Limited Liability Companies  Limited Liability Companies (LLCs) have attributes of both partnerships and corporations  Advantages of LLCs are numerous ◦ Taxable income/loss passes through to owners ◦ No general partner requirement ◦ Owners can participate in management ◦ Owners have limited liability ◦ LLC ownership interest is not a security ◦ Tax attributes pass through to owners ◦ Offer greater tax flexibility than S corporations (single member LLCs are very common) 2012 Cengage Learning
  • 28. Limited Liability Companies  Disadvantages of LLCs ◦ Because of newness, limited amount of case law dealing with limited liability companies ◦ States are not uniform in treatment of LLCs, so potential for confusion if LLC is operating in more than one state Note: LLCs are quickly becoming a major form of business organization in the U.S. 2012 Cengage Learning
  • 29. That’s All 2012 Cengage Learning