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THE AMERICAN TAXPAYER RELIEF ACT OF 2012
                (“ACT”)
     A RESULT OF THE “FISCAL CLIFF”
      WHAT IT DID AND DID NOT DO


   Presentation to the Dayton Association of Tax Professionals


                          Frederick J. Caspar, J.D.
                           Dinsmore & Shohl LLP
                   10 Courthouse Plaza, S.W., Suite 1100
                            Dayton, Ohio 45402
                              (937) 449-2818
                        fred.caspar@dinsmore.com

                             January 14, 2013
                                     14


                            © 2013 Frederick J. Caspar
INCOME TAX (CON’T)
   BRIEF SUMMARY OF SELECT CHANGES




                                      2
INCOME TAX (CON’T)
BUSINESS PROVISIONS
 Section 179 Deduction for Equipment
  ○ Annual limit for 2012 (made retroactive) and 2013
    is increased to $500 000 with a phase out
                    $500,000,         phase-out
    beginning at $2,000,000 of investment.
  ○ Previously for 2012 the limit was $139,000
    (inflation adjusted), with a phase-out starting at
    $560,000 (inflation adjusted).
  ○ Annual limit decreased to $25,000 in 2014.
                                $ ,
  ○ Phase-out starts at $200,000 in 2014.



                                                         3
INCOME TAX (CON’T)
INDIVIDUAL TAX PROVISIONS
 50% Bonus Depreciation was to expire in 2013 (with an
  exception through 2013 for longer-produced property).
  This was extended to 2014.

   Collapsible corporation provisions (IRC §341) reinstated
    in 2013
       2013.
    ○ Essentially taxes sales of C corporation stock as
      ordinary income (vs. capital gain) if corporation formed
      for th
      f the principal purpose of packaging ordinary income
                i i l             f   k i       di     i
      assets for sale.

   Extends 15-year straight-line depreciation on qualified
    leasehold improvements through 2013.                      4
Income Tax (Con’t)
I      T (C ’t)
   Alters the taxation of S corporation “Built-in Gains” (“BIG”):
    o For 2012 and 2013 BIG, the recognition period is
       reduced from 10 years to 5 years.
    o If an installment sale of BIG assets occurs in 2012
         a     sa    e sa e o     G asse s occu s      0
       or2013, the 5-year rule will apply even if the installment
       note is collected after 2013

   The smaller basis adjustment to S corporation stock for
    charitable contributions of appreciated property by such
    corporation is extended for contributions made in 2012 and
       p
    2013.



                                                                 5
Income Tax (Con’t)
I      T (C ’t)
   Extends the 9% low-income housing credit applicable
                                         g        pp
    percentage to all credit allocations made prior to 2014.
   Extends a number of other expiring provisions through
    2013. E.g.:
     0 3     g
    o 100% exclusion for gain on sale of “qualified/small
      business stock (§1202).
    o Research tax credit
                    credit.
    o Work opportunity credit.
    o New Markets Tax Credit.
    o Subpart F exception for active financing income.
    o Various energy credits extended; “RIC,” “CFC”
      extenders.

                                                               6
Income Tax (Con’t)
I      T (C ’t)
INDIVIDUAL PROVISIONS
 Increased, and made permanent, the AMT patch
  o From $45,000 (married/$33,750 single) in 2012
     p e ous y, o $ 8, 50/$50,600, de ed o
     previously, to $78,750/$50,600, indexed for inflation
                                                     a o
     after 2012.
  o Allowing non-refundable personal credits to offset AMT.


   Reinstated the ability to deduct state and local sales taxes
    in lieu of income taxes from 2011 through 2013
    (retroactive for 2012)
                     2012).




                                                                   7
Income Tax (Con’t)
I      T (C ’t)
   Extended, from 2011 through 2013 (retroactive for
              ,                  g         (
    2012) the ability of individuals 70½ or older to direct
    traditional IRA distributions to charities, up to
    $
    $100,000 each year.
          ,           y
    o A distribution already received in December of 2012
       can be so treated if equivalent cash is contributed
       to charity in January 2013
                     January, 2013.
    o A January 2013 IRA distribution to charity can be
       treated as a 2012 rollover, effectively allowing a
       second $100 000 charitable distribution to be made
             d $100,000 h it bl di t ib ti        t b     d
       in 2013.


                                                          8
Income Tax (Con’t)
I      T (C ’t)
 o   Such distributions are treated as required minimum
                                          q
     distributions (RMD).
 o   Distributions to donor advised funds do not qualify
     under this provision
                 provision.
 o   Benefits to the donor include:
      Effectively in charitable deduction with no AGI
        limitation.
      Avoids the 2013 itemized deduction phase-out if
        it were to limit such deduction.
      Effectively a state tax charitable deduction.




                                                       9
Income Tax (Con’t)
I      T (C ’t)
   Extends the exclusion from gross income of discharge
                                    g                    g
    of qualified principal residence indebtedness (up to
    $2,000,000) to December 31, 2013.
   Permanently extends “relief” from the “marriage
                             relief          marriage
    penalty”
    o Allowing a standard deduction twice the single
       deduction.
       deduction
    o Increases the 15% bracket, over time, to twice the
       corresponding single individual bracket.




                                                         10
Income Tax (Con’t)
I      T (C ’t)
   Extends through 2013 certain other deductions
                  g
    o School teachers expenditures
    o Employer provided mass transit and parking as
      excludible working condition fringe
                                    fringe.
    o Deduction of mortgage insurance premiums as
      qualified residence interest.
    o Extension of contribution of certain conservation
      easements.
    o Deduction of certain qualified tuition payments
                                             payments.




                                                          11
Income Tax (Con’t)
I      T (C ’t)
Some Things the Act Did Not Extend
           g
 Phase-out of itemized deductions reinstated in 2013;
  3% of AGI over threshold (est. in 2013 $300,000
  married filing joint, $250 000 single, adjusted for
                  joint $250,000 single
  inflation after 2013) up to 80% of total deduction).
  o What is practical impact on discretionary (e.g.,
     charitable) itemized deductions?
 Phase-out of personal exemptions reinstated in 2013;
  2% for each $2,500 that AGI exceeds threshold
  amounts (est. $300,000 married filing joint, $250,000
  single). Reduced to $0 if $125,000 over threshold.


                                                      12
SELECTIVE HEALTH REFORM ACT EMBEDDED TAXES
   Employee (including for self-employed) FICA (“payroll”)
    tax rate allowed to increase from 4.2% to 6.2%.
   In 2013 forward:
    •    Additional tax of 0.9% on earned income over
         $200,000/$250,000 for single/joint taxpayers,
         bringing total “surtax” from 2.9% to 3.8%.
    •    Additional tax of 3.8% on unearned
         (passive/investment) i
         (     i /i     t     t) income t th extent modified
                                        to the  t t   difi d
         AGI exceeds $200,000/$250,000.
   In 2018 forward: 40% excise tax on health insurance
    premiums in excess of $10,800/$27,500 for
                             $10 800/$27 500
    individual/family coverage.
   AGI threshold for medical expense deduction increased
    from 7.5% of AGI in 2012 to 10% in 2013 (7 5% remains
           7 5%                                 (7.5%
    if age 65 or over).
                                                          13
INDIVIDUAL INCOME TAX RATE CHANGES
2012 Joint Tax Rates -- Ordinary

$0 to $17,400                10% of amount over $0
$17,400 to $70,700           $1,740 + 15% of amount over $17,400
$70,700 to $142,700          $9,735 + 25% of amount over $70,700
$142,700 to $217,450         $27,735 + 28% of amount over $142,700
$217,450 to $388,350         $48,665 + 33% of amount over $217,450
Over $388,350                $105,062 + 35% of amount over $388,350




                                                                      14
EXPECTED 2013 INDIVIDUAL TAX RATES
If taxable income (married filing jointly)

Is over         But not over         The tax is:*
$0              $17,850              10% of taxable income
$17,850         $72,500              $1,785 plus 15% of the amount over $1,785
$72,500
$72 500         $146,400
                $146 400             $9,982
                                     $9 982 plus 25% of the amount over $72,500
                                                                        $72 500
$146,400        $223,050             $28,458 plus 28% of the amount over $146,400
$223,050        $398,350             $49,920 plus 33% of the amount over $223,050
$398,350        $450,000             $107,769 plus 35% of the amount over $398,350
$450,000 and
$          d   over                  $125,846 plus 39.6% of the amount over $450,000
                                     $           l         f h              $

_____________________
* Plus 0.9% on earned income over $200,000/$250,000
   Plus 3.8% on unearned income to extent AGI is over $200,000/$250,000




                                                                                  15
OTHER 2012/2013 INCOME TAX RATE CHANGES
          /
   Long-term Capital Gain
                                      2012                  2013
                                      15%                   20.0%*
    with 3.8% surtax                  15%                   23.8%

   Collectibles and Real Property Recapture Rates stay at 28%/25%,
    respectively.

   Qualified Dividends (Max. Rate)
                                      2012                  2013
                                      15%                   20.0%*
    with 3 8% surtax
     ith 3.8%    t                    15%                   23.8%
                                                            23 8%

*   The extra 5% applies only to the extent taxable income exceeds $450,000
    (married, joint)/$400,000 (single)).


                                                                          16
Choice f Entity D i i R i it d
Ch i of E tit Decision Revisited
NON-CORPORATE FLOW THROUGH ENTITIES

   Sole Proprietorship
    o C
      Can b 100% owned limited liability company
           be              d li it d li bilit
      (LLC), formed to limit liability but treated as
      disregarded entity for tax purposes.
   General Partnership
   Limited Liability Partnership
   Limited Partnership
   LLC taxed as Partnership


                                                        17
Choice f Entity Decision Revisited (Con’t)
Ch i of E i D i i R i i d (C ’ )
CORPORATE FLOW THROUGH ENTITIES
 S Corporation
 “Check the Box” LLC that has made an S election


NON FLOW THROUGH ENTITIES
 C Corporation
 “Check the Box” LLC that has not made an S election.




                                                     18
Choice f Entity Decision Revisited (Con’t)
Ch i of E i D i i R i i d (C ’ )
SOME NON-TAX FACTORS TO CONSIDER
 Limited liability
 “Corporate” formalities
 E
  Ease i accessing capital markets
        in        i       it l    k t
  o Private money
  o Public markets
 Ownership restrictions (number and type)
  o Applicable to S corporation
 Flexibility in multiple classes of stock/equity
  o More limited for S corporations



                                                    19
Choice f Entity Decision Revisited (Con’t)
Ch i of E i D i i R i i d (C ’ )
TAX FACTORS TO CONSIDER
 Primary Advantages of Flow Through Structure
  o Avoidance of double tax
      O stock sale (f
       On t k l (from increased basis attributable
                            i       d b i tt ib t bl
       to retained earnings).
      On asset sale, from retained earnings basis
                     ,                     g
       bump, and avoidance of double tax on unrealized
       appreciation in assets (subject to “BIG” tax for
       recently elected S corporations).
              y               p        )
      On current withdrawals of cash.




                                                      20
Choice f Entity Decision Revisited (Con’t)
Ch i of E i D i i R i i d (C ’ )
 o   Lower individual maximum capital g
                                    p    gain rates.
      20% (23.8% if passive capital gain) vs. 35%
        corporate rate.
 o   Flexibility to withdraw cash
 o   Avoids unreasonable accumulation of earnings penalty
     tax.
 o   Avoids
     A id unreasonable compensation i
                         bl           ti   issues
 o   Possible ability to avoid “Medical surtax” of 3.8%
      “Obamacare” surtax of 3.8% on S corporation
                                                p
        pass-through income does not apply to materially
        participating shareholders.
      This is a potential advantage of S corporations over
        other flow through structures.
                                                          21
Choice f Entity Decision Revisited (Con’t)
Ch i of E i D i i R i i d (C ’ )
    o  More flexibility in choosing method of accounting (cash
       vs. accrual) than C corporations.
   Primary Disadvantages of Flow Through Structure
    o Higher maximum immediate federal ordinary income tax
         g e     a     u       ed a e ede a o d a y co e a
       rates.
        39.6%/43.4% if “passive” income vs. 35%
        Bracket creep through C corporation brackets will
          result in lower rate than 35% if under $18,833,333 of
          taxable income.
    o Generally a calendar year is required
                                     required.
    o Limited ability to implement deferred compensation
       plans for owners.


                                                              22
Choice f Entity Decision Revisited (Con’t)
Ch i of E i D i i R i i d (C ’ )
    o  Inability to use §1202 100% qualified sale exclusion of
       small business stock through 2013.
    o Disability insurance premiums not deductible for
       owners/but benefits are not taxable.
   Primary Differences Between Corporations and other Flow
    Through Structures
    o Inability to add entity debt to S corporation stock basis
               y            y              p
        For loss flow through.
        For tax deferred distributions.
    o Triggering of tax on appreciated assets if distributed
       from S corporations (§311).



                                                                  23
Choice f Entity Decision Revisited (Con’t)
Ch i of E i D i i R i i d (C ’ )
 o   Less flexibility on contributing appreciated assets tax
     free to S corporations (§351 vs. §721).
 o   Less flexibility on structuring equity participation for key
     executives of S corporations (subject to carried interest
     proposals)
 o   More flexibility in structuring a tax deferred
     (reorganization) exit for S corporations.




                                                                24
Choice f Entity Decision Revisited (Con’t)
Ch i of E i D i i R i i d (C ’ )
TAKE AWAYs
 The choice of entity analysis has not fundamentally
  changed, and in most instances a flow through structure
  will still be preferred even in light of the increased spread in
  individual vs. corporate tax rates. However, for start-up
  companies
  o That want to minimize current taxes;
  o That have an exit plan that allows conversion from “C” to
     “S” status in sufficient time to avoid the “BIG” tax; and
  o For which S corporation status is an acceptable flow
                       p                          p
     through structure (vs. partnership) the balance may shift
     to a C corporation structure initially.


                                                                25
Choice f Entity Decision Revisited (Con’t)
Ch i of E i D i i R i i d (C ’ )
   Note that if an S corporation converts to a C corporation,
    absent IRS consent it cannot return to S corporation status
    for five years.




                                                              26
ESTATE/GIFT TAX
   ESTATE AND GIFT TAX RATE CHANGES

          Year             Exemption        Top Rate


          2012      $5,120,000               35%

          2013      $5,250,000 (inflation    40%
                    adjusted)




                                                       27
OTHER ESTATE/GIFT TAX PROVISIONS
            /
   Spousal p
     p        portability retained.
                        y
   All other sunset provisions of the 2001 and 2010
    changes have been eliminated, and such otherwise
    sunsetted provisions made permanent (ACT
    §101(a)(1) and (2)). E.g.,
    o $250,000 home sale gain exclusion for qualified
       bypass trusts in §121(d)(ii)(C) retained
                                        retained.
    o Accommodative provision in IRC §6166 rules
       (installment payment of estate taxes for tax
       attributable to closely held business) retained.



                                                          28
OTHER ESTATE/GIFT TAX PROVISIONS (CON’T)
    Other possible future changes:
       Elimination of discount planning.
       Elimination of “defective” grantor trust planning.
       Elimination of GRATs under 10 years in length
                                                 length.
       Limitation of Dynasty Trusts to 90 years.




                                                             29
    321166.1

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"The American Taxpayer Relief Act of 2012 - A Result of the 'Fiscal Cliff,' What it Did and Did Not Do," Dayton Association of Tax Professionals

  • 1. THE AMERICAN TAXPAYER RELIEF ACT OF 2012 (“ACT”) A RESULT OF THE “FISCAL CLIFF” WHAT IT DID AND DID NOT DO Presentation to the Dayton Association of Tax Professionals Frederick J. Caspar, J.D. Dinsmore & Shohl LLP 10 Courthouse Plaza, S.W., Suite 1100 Dayton, Ohio 45402 (937) 449-2818 fred.caspar@dinsmore.com January 14, 2013 14 © 2013 Frederick J. Caspar
  • 2. INCOME TAX (CON’T)  BRIEF SUMMARY OF SELECT CHANGES 2
  • 3. INCOME TAX (CON’T) BUSINESS PROVISIONS  Section 179 Deduction for Equipment ○ Annual limit for 2012 (made retroactive) and 2013 is increased to $500 000 with a phase out $500,000, phase-out beginning at $2,000,000 of investment. ○ Previously for 2012 the limit was $139,000 (inflation adjusted), with a phase-out starting at $560,000 (inflation adjusted). ○ Annual limit decreased to $25,000 in 2014. $ , ○ Phase-out starts at $200,000 in 2014. 3
  • 4. INCOME TAX (CON’T) INDIVIDUAL TAX PROVISIONS  50% Bonus Depreciation was to expire in 2013 (with an exception through 2013 for longer-produced property). This was extended to 2014.  Collapsible corporation provisions (IRC §341) reinstated in 2013 2013. ○ Essentially taxes sales of C corporation stock as ordinary income (vs. capital gain) if corporation formed for th f the principal purpose of packaging ordinary income i i l f k i di i assets for sale.  Extends 15-year straight-line depreciation on qualified leasehold improvements through 2013. 4
  • 5. Income Tax (Con’t) I T (C ’t)  Alters the taxation of S corporation “Built-in Gains” (“BIG”): o For 2012 and 2013 BIG, the recognition period is reduced from 10 years to 5 years. o If an installment sale of BIG assets occurs in 2012 a sa e sa e o G asse s occu s 0 or2013, the 5-year rule will apply even if the installment note is collected after 2013  The smaller basis adjustment to S corporation stock for charitable contributions of appreciated property by such corporation is extended for contributions made in 2012 and p 2013. 5
  • 6. Income Tax (Con’t) I T (C ’t)  Extends the 9% low-income housing credit applicable g pp percentage to all credit allocations made prior to 2014.  Extends a number of other expiring provisions through 2013. E.g.: 0 3 g o 100% exclusion for gain on sale of “qualified/small business stock (§1202). o Research tax credit credit. o Work opportunity credit. o New Markets Tax Credit. o Subpart F exception for active financing income. o Various energy credits extended; “RIC,” “CFC” extenders. 6
  • 7. Income Tax (Con’t) I T (C ’t) INDIVIDUAL PROVISIONS  Increased, and made permanent, the AMT patch o From $45,000 (married/$33,750 single) in 2012 p e ous y, o $ 8, 50/$50,600, de ed o previously, to $78,750/$50,600, indexed for inflation a o after 2012. o Allowing non-refundable personal credits to offset AMT.  Reinstated the ability to deduct state and local sales taxes in lieu of income taxes from 2011 through 2013 (retroactive for 2012) 2012). 7
  • 8. Income Tax (Con’t) I T (C ’t)  Extended, from 2011 through 2013 (retroactive for , g ( 2012) the ability of individuals 70½ or older to direct traditional IRA distributions to charities, up to $ $100,000 each year. , y o A distribution already received in December of 2012 can be so treated if equivalent cash is contributed to charity in January 2013 January, 2013. o A January 2013 IRA distribution to charity can be treated as a 2012 rollover, effectively allowing a second $100 000 charitable distribution to be made d $100,000 h it bl di t ib ti t b d in 2013. 8
  • 9. Income Tax (Con’t) I T (C ’t) o Such distributions are treated as required minimum q distributions (RMD). o Distributions to donor advised funds do not qualify under this provision provision. o Benefits to the donor include:  Effectively in charitable deduction with no AGI limitation.  Avoids the 2013 itemized deduction phase-out if it were to limit such deduction.  Effectively a state tax charitable deduction. 9
  • 10. Income Tax (Con’t) I T (C ’t)  Extends the exclusion from gross income of discharge g g of qualified principal residence indebtedness (up to $2,000,000) to December 31, 2013.  Permanently extends “relief” from the “marriage relief marriage penalty” o Allowing a standard deduction twice the single deduction. deduction o Increases the 15% bracket, over time, to twice the corresponding single individual bracket. 10
  • 11. Income Tax (Con’t) I T (C ’t)  Extends through 2013 certain other deductions g o School teachers expenditures o Employer provided mass transit and parking as excludible working condition fringe fringe. o Deduction of mortgage insurance premiums as qualified residence interest. o Extension of contribution of certain conservation easements. o Deduction of certain qualified tuition payments payments. 11
  • 12. Income Tax (Con’t) I T (C ’t) Some Things the Act Did Not Extend g  Phase-out of itemized deductions reinstated in 2013; 3% of AGI over threshold (est. in 2013 $300,000 married filing joint, $250 000 single, adjusted for joint $250,000 single inflation after 2013) up to 80% of total deduction). o What is practical impact on discretionary (e.g., charitable) itemized deductions?  Phase-out of personal exemptions reinstated in 2013; 2% for each $2,500 that AGI exceeds threshold amounts (est. $300,000 married filing joint, $250,000 single). Reduced to $0 if $125,000 over threshold. 12
  • 13. SELECTIVE HEALTH REFORM ACT EMBEDDED TAXES  Employee (including for self-employed) FICA (“payroll”) tax rate allowed to increase from 4.2% to 6.2%.  In 2013 forward: • Additional tax of 0.9% on earned income over $200,000/$250,000 for single/joint taxpayers, bringing total “surtax” from 2.9% to 3.8%. • Additional tax of 3.8% on unearned (passive/investment) i ( i /i t t) income t th extent modified to the t t difi d AGI exceeds $200,000/$250,000.  In 2018 forward: 40% excise tax on health insurance premiums in excess of $10,800/$27,500 for $10 800/$27 500 individual/family coverage.  AGI threshold for medical expense deduction increased from 7.5% of AGI in 2012 to 10% in 2013 (7 5% remains 7 5% (7.5% if age 65 or over). 13
  • 14. INDIVIDUAL INCOME TAX RATE CHANGES 2012 Joint Tax Rates -- Ordinary $0 to $17,400 10% of amount over $0 $17,400 to $70,700 $1,740 + 15% of amount over $17,400 $70,700 to $142,700 $9,735 + 25% of amount over $70,700 $142,700 to $217,450 $27,735 + 28% of amount over $142,700 $217,450 to $388,350 $48,665 + 33% of amount over $217,450 Over $388,350 $105,062 + 35% of amount over $388,350 14
  • 15. EXPECTED 2013 INDIVIDUAL TAX RATES If taxable income (married filing jointly) Is over But not over The tax is:* $0 $17,850 10% of taxable income $17,850 $72,500 $1,785 plus 15% of the amount over $1,785 $72,500 $72 500 $146,400 $146 400 $9,982 $9 982 plus 25% of the amount over $72,500 $72 500 $146,400 $223,050 $28,458 plus 28% of the amount over $146,400 $223,050 $398,350 $49,920 plus 33% of the amount over $223,050 $398,350 $450,000 $107,769 plus 35% of the amount over $398,350 $450,000 and $ d over $125,846 plus 39.6% of the amount over $450,000 $ l f h $ _____________________ * Plus 0.9% on earned income over $200,000/$250,000 Plus 3.8% on unearned income to extent AGI is over $200,000/$250,000 15
  • 16. OTHER 2012/2013 INCOME TAX RATE CHANGES /  Long-term Capital Gain 2012 2013 15% 20.0%* with 3.8% surtax 15% 23.8%  Collectibles and Real Property Recapture Rates stay at 28%/25%, respectively.  Qualified Dividends (Max. Rate) 2012 2013 15% 20.0%* with 3 8% surtax ith 3.8% t 15% 23.8% 23 8% * The extra 5% applies only to the extent taxable income exceeds $450,000 (married, joint)/$400,000 (single)). 16
  • 17. Choice f Entity D i i R i it d Ch i of E tit Decision Revisited NON-CORPORATE FLOW THROUGH ENTITIES  Sole Proprietorship o C Can b 100% owned limited liability company be d li it d li bilit (LLC), formed to limit liability but treated as disregarded entity for tax purposes.  General Partnership  Limited Liability Partnership  Limited Partnership  LLC taxed as Partnership 17
  • 18. Choice f Entity Decision Revisited (Con’t) Ch i of E i D i i R i i d (C ’ ) CORPORATE FLOW THROUGH ENTITIES  S Corporation  “Check the Box” LLC that has made an S election NON FLOW THROUGH ENTITIES  C Corporation  “Check the Box” LLC that has not made an S election. 18
  • 19. Choice f Entity Decision Revisited (Con’t) Ch i of E i D i i R i i d (C ’ ) SOME NON-TAX FACTORS TO CONSIDER  Limited liability  “Corporate” formalities  E Ease i accessing capital markets in i it l k t o Private money o Public markets  Ownership restrictions (number and type) o Applicable to S corporation  Flexibility in multiple classes of stock/equity o More limited for S corporations 19
  • 20. Choice f Entity Decision Revisited (Con’t) Ch i of E i D i i R i i d (C ’ ) TAX FACTORS TO CONSIDER  Primary Advantages of Flow Through Structure o Avoidance of double tax  O stock sale (f On t k l (from increased basis attributable i d b i tt ib t bl to retained earnings).  On asset sale, from retained earnings basis , g bump, and avoidance of double tax on unrealized appreciation in assets (subject to “BIG” tax for recently elected S corporations). y p )  On current withdrawals of cash. 20
  • 21. Choice f Entity Decision Revisited (Con’t) Ch i of E i D i i R i i d (C ’ ) o Lower individual maximum capital g p gain rates.  20% (23.8% if passive capital gain) vs. 35% corporate rate. o Flexibility to withdraw cash o Avoids unreasonable accumulation of earnings penalty tax. o Avoids A id unreasonable compensation i bl ti issues o Possible ability to avoid “Medical surtax” of 3.8%  “Obamacare” surtax of 3.8% on S corporation p pass-through income does not apply to materially participating shareholders.  This is a potential advantage of S corporations over other flow through structures. 21
  • 22. Choice f Entity Decision Revisited (Con’t) Ch i of E i D i i R i i d (C ’ ) o More flexibility in choosing method of accounting (cash vs. accrual) than C corporations.  Primary Disadvantages of Flow Through Structure o Higher maximum immediate federal ordinary income tax g e a u ed a e ede a o d a y co e a rates.  39.6%/43.4% if “passive” income vs. 35%  Bracket creep through C corporation brackets will result in lower rate than 35% if under $18,833,333 of taxable income. o Generally a calendar year is required required. o Limited ability to implement deferred compensation plans for owners. 22
  • 23. Choice f Entity Decision Revisited (Con’t) Ch i of E i D i i R i i d (C ’ ) o Inability to use §1202 100% qualified sale exclusion of small business stock through 2013. o Disability insurance premiums not deductible for owners/but benefits are not taxable.  Primary Differences Between Corporations and other Flow Through Structures o Inability to add entity debt to S corporation stock basis y y p  For loss flow through.  For tax deferred distributions. o Triggering of tax on appreciated assets if distributed from S corporations (§311). 23
  • 24. Choice f Entity Decision Revisited (Con’t) Ch i of E i D i i R i i d (C ’ ) o Less flexibility on contributing appreciated assets tax free to S corporations (§351 vs. §721). o Less flexibility on structuring equity participation for key executives of S corporations (subject to carried interest proposals) o More flexibility in structuring a tax deferred (reorganization) exit for S corporations. 24
  • 25. Choice f Entity Decision Revisited (Con’t) Ch i of E i D i i R i i d (C ’ ) TAKE AWAYs  The choice of entity analysis has not fundamentally changed, and in most instances a flow through structure will still be preferred even in light of the increased spread in individual vs. corporate tax rates. However, for start-up companies o That want to minimize current taxes; o That have an exit plan that allows conversion from “C” to “S” status in sufficient time to avoid the “BIG” tax; and o For which S corporation status is an acceptable flow p p through structure (vs. partnership) the balance may shift to a C corporation structure initially. 25
  • 26. Choice f Entity Decision Revisited (Con’t) Ch i of E i D i i R i i d (C ’ )  Note that if an S corporation converts to a C corporation, absent IRS consent it cannot return to S corporation status for five years. 26
  • 27. ESTATE/GIFT TAX  ESTATE AND GIFT TAX RATE CHANGES Year Exemption Top Rate 2012 $5,120,000 35% 2013 $5,250,000 (inflation 40% adjusted) 27
  • 28. OTHER ESTATE/GIFT TAX PROVISIONS /  Spousal p p portability retained. y  All other sunset provisions of the 2001 and 2010 changes have been eliminated, and such otherwise sunsetted provisions made permanent (ACT §101(a)(1) and (2)). E.g., o $250,000 home sale gain exclusion for qualified bypass trusts in §121(d)(ii)(C) retained retained. o Accommodative provision in IRC §6166 rules (installment payment of estate taxes for tax attributable to closely held business) retained. 28
  • 29. OTHER ESTATE/GIFT TAX PROVISIONS (CON’T)  Other possible future changes:  Elimination of discount planning.  Elimination of “defective” grantor trust planning.  Elimination of GRATs under 10 years in length length.  Limitation of Dynasty Trusts to 90 years. 29 321166.1