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Chapter 13
                             Tax Accounting

©2012 CCH. All Rights Reserved.
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Chapter 13 Exhibits
    1.     Computation of Taxable Income
    2.     Net Tax Liability
    3.     Accounting Periods
    4.     Election of the Tax Year
    5.     Partnerships
    6.     Partnership Accounting Period—Examples
    7.     Corporations, Estates, and Trusts
    8.     Change of Accounting Periods
    9.     IRS Permission or Consent
    10.    Exceptions to Permission Requirements
    11.    Short Tax Years
    12.    Short-Period Tax
    13.    Alternative Method
    14.    Short-Period Example

Chapter 13, Exhibit Contents A   CCH Federal Taxation Basic Principles   2 of 88
Chapter 13 Exhibits
    15.    Accounting Methods
    16.    Cash Method
    17.    Constructive Receipt
    18.    Cash Basis Taxpayer Examples
    19.    Deductibility of Expenses
    20.    Limitations on Use of Cash Method
    21.    Accrual Method
    22.    Accrual Basis Taxpayer Examples
    23.    Prepaid Income and Expenses
    24.    Separate Sources of Income
    25.    Hybrid Methods
    26.    Change of Accounting Methods
    27.    Adjustment—Voluntary/Required Change
    28.    Change in Accounting Method Example

Chapter 13, Exhibit Contents B   CCH Federal Taxation Basic Principles   3 of 88
Chapter 13 Exhibits
    29.    Inventories
    30.    Valuation of Inventory
    31.    Cost Methods
    32.    Uniform Capitalization Rules (UNICAP)
    33.    Cost Allocation Procedures
    34.    Simplified Retail Method
    35.    Inventory and UNICAP
    36.    Simplified Production Method
    37.    Lower-of-Cost-or-Market (LCM) Method
    38.    LCM Example
    39.    Valuation of Inventory Items
    40.    Inventory Valuation Example
    41.    Inventory Valuation Example—FIFO
    42.    Inventory Valuation Example—LIFO

Chapter 13, Exhibit Contents C   CCH Federal Taxation Basic Principles   4 of 88
Chapter 13 Exhibits
    43.    Inventory Valuation Example—Weighted Average Cost
    44.    Dollar-Value LIFO Method
    45.    Double Extension Method
    46.    Dollar Value LIFO Example
    47.    Dollar Value LIFO Example—2009
    48.    Dollar Value LIFO Example—2010
    49.    Dollar Value LIFO Example—2011
    50.    Simplified Dollar-Value LIFO Method
    51.    Simplified Dollar-Value LIFO Example
    52.    Estimates of Inventory Shrinkage
    53.    Long-term Contracts
    54.    Capitalization of Expenses
    55.    Percentage-of-Completion Method
    56.    Modified Percentage-of-Completion Method

Chapter 13, Exhibit Contents D   CCH Federal Taxation Basic Principles   5 of 88
Chapter 13 Exhibits
    57.    Completed Contract Methods
    58.    Long-term Contracts Example
    59.    Installment Sales
    60.    Computation of Gain
    61.    Installment Sale Example
    62.    Dispositions of Installment Obligations
    63.    Disposition of Installment Obligation—Example
    64.    Repossessions of Personal Property
    65.    Repossessions of Real Property
    66.    Personal Property Repossessions—Example
    67.    Real Property Repossessions—Example
    68.    Advantages and Disadvantages of Installment Method




Chapter 13, Exhibit Contents E   CCH Federal Taxation Basic Principles   6 of 88
Computation of Taxable Income
Individuals                                            S Corporations
Income Broadly Conceived                               Income Broadly Conceived
Less: Exclusions                                       Less: Exclusions
Gross Income                                           Gross Income
Less: Deductions for Adjusted Gross Income             Less: Deductions
Adjusted Gross Income                                  Ordinary Income
Less: Deductions from Adjusted Gross Income
Taxable Income
                                                       Estates and Trusts
                                                       Income Broadly Conceived
C Corporations                                         Less: Exclusions
Income Broadly Conceived                               Gross Income
Less: Exclusions                                       Less: Deductions
Gross Income                                           Taxable Income
Less: Deductions
 Routine
 Special
Taxable Income




 Chapter 13, Exhibit 1             CCH Federal Taxation Basic Principles          7 of 88
Net Tax Liability

Individuals, C Corporations, and Estates and Trusts
Gross Tax Liability
Less: Credits
Net Tax Liability
Less: Prepayments
Net Tax or Refund Due




Chapter 13, Exhibit 2a    CCH Federal Taxation Basic Principles   8 of 88
Net Tax Liability

   Many of the income, deductions, and credit concepts
    you have learned in first 12 chapters apply to all
    entities
   However, there are numerous and substantial
    differences




Chapter 13, Exhibit 2b    CCH Federal Taxation Basic Principles   9 of 88
Accounting Periods
   Tax year - calendar year or fiscal year on the basis of
    which taxable income is determined
      May not exceed 12 months
   Calendar year - ends on December 31
   Fiscal year - ends on last day of any month other than
    December
   Taxpayer must correlate accounting, financial, and
    business practices with the fiscal year used for tax
    returns
   Tax return is required for a fractional part of a year
      Known as a short tax year



Chapter 13, Exhibit 3     CCH Federal Taxation Basic Principles   10 of 88
Election of the Tax Year
   New taxpayer may adopt any tax year without
    obtaining prior approval of IRS in first year.
      First tax year must be adopted on or before time for
       filing the initial return
   Taxpayers who do not have books must use the
    calendar year
   Sole proprietors
      Must use same period for business tax reporting
       purposes that they use for their personal books


Chapter 13, Exhibit 4       CCH Federal Taxation Basic Principles   11 of 88
Partnerships
   Must use same tax year as that of its partners who have a
    majority interest
   If partners owning a majority interest have different tax years
      Partnership must adopt same tax year as that of its principal
        partners
      Principal partner - a partner having ≥5 percent interest in
        partnership profits or capital
   When neither condition is met
      Partnership must use a year that results in least aggregate
        deferral of income to partners
   Partnership income is considered to be earned by partners on the
    last day of partnership’s tax year

Chapter 13, Exhibit 5   CCH Federal Taxation Basic Principles   12 of 88
Partnership Accounting Period Examples

1.     X and Y form XY Partnership. X owns 60% of XY,
       so XY must use X’s tax year.
2.     A, B and C form ABC Partnership. They are equal
       owners. A and B are calendar taxpayers and C is a
       5/31 year-end taxpayer. ABC must use the calendar
       year.




Chapter 13, Exhibit 6a   CCH Federal Taxation Basic Principles   13 of 88
Partnership Accounting Period Examples

      M (40%), N (40%) and O (20%) form MNO Partnership. They have the following
      tax year ends:
      M: December 31
      N: April 30
      O: June 30
      MNO must use a 12/31 year end based as follows:
                                     Possible Tax Year Ends
                                   4/30              6/30         12/31
                                   Months           Months       Months
Partner Interest Partner Year End Deferred Total Deferred Total Deferred Total
M       40%          12/31            8      3.2       6    2.4    0    0.0
N       40%           4/30            0      0.0     10     4.0    4    1.6
O       20%           6/30            2      0.4       0    0.0    6    1.2
                                             3.6             6.4        2.8
December 31 year end has the least aggregate deferral.


Chapter 13, Exhibit 6b    CCH Federal Taxation Basic Principles            14 of 88
Corporations, Estates, and Trusts
   Newly organized C corporation may select any tax year
      May differ from that of the shareholders

   S corporation generally required to be a calendar year
   Estate may adopt any tax year
   Trusts must use calendar year




Chapter 13, Exhibit 7   CCH Federal Taxation Basic Principles   15 of 88
Change of Accounting Periods

   In general, prior approval must be obtained
      Usually obtained if there are substantial business

       reasons for change
   Usually involves a short-period tax year




Chapter 13, Exhibit 8   CCH Federal Taxation Basic Principles   16 of 88
IRS Permission or Consent
   Taxpayer must file an application on Form 1128
      On or before the 15th day of third calendar month
       following the end of short year
      Should show that there is a substantial business
       purpose for change and that any tax cost to IRS is
       insignificant
   To prevent substantial distortion of income, an
    agreement between taxpayer and IRS is required
   If approval is granted, taxpayer must file an income tax
    return for short period

Chapter 13, Exhibit 9        CCH Federal Taxation Basic Principles   17 of 88
Exceptions to Permission Requirements
   An individual whose income is derived solely from wages,
    salaries, interest, dividends, capital gains, pensions and
    annuities, or rents and royalties
      May change from the fiscal year to calendar year
   Newly married individual
      May adopt accounting period of other spouse without prior
       approval
   All partnerships, S corporations, and personal service
    corporations that conform their tax years to their owners’ tax
    year
   Other corporations have more restrictions to their annual
    accounting period without prior approval


Chapter 13, Exhibit 10   CCH Federal Taxation Basic Principles   18 of 88
Short Tax Years

   Separate return is filed for short period beginning with
    day following the close of old tax year and ending with
    day preceding first day of new tax year
   The procedures are as follows:
     1. Annualize short-period income
     2. Determine tax on the annualized income
     3. Determine short-period tax



Chapter 13, Exhibit 11   CCH Federal Taxation Basic Principles   19 of 88
Short-Period Tax

   Determine annualized income (AI) for short-period
    income (SPI):
     AI = SPI x (12/# months in short period)
   Determine tax (T) on annualized income:
     From rate schedules
   Determine short-period tax (SPT):
     SPT = T x (# months in short period/12)


Chapter 13, Exhibit 12    CCH Federal Taxation Basic Principles   20 of 88
Alternative Method
      Annualization may result in inequities to taxpayer
      An exception to general rule may result in less tax:
           Determine taxable income for the 12-month period beginning on
            the first day of the short period
           Determine the tax on the taxable income for this 12-month
            period
           Alternative short-period tax ASPT) =
            Tax on 12-month period × [ Taxable income for short
            period/Taxable income for 12-month period]
      Short-period tax computed in Step 3 cannot be less than it would
       have been if it had been computed on short-period taxable income
       without placing it on an annualized basis



Chapter 13, Exhibit 13     CCH Federal Taxation Basic Principles    21 of 88
Short-Period Example
X Corporation uses a calendar year
In 2012 it changed its accounting period to one ending on 4/30
Taxable income for 1/1/12-12/31/12 is $50,000
Taxable income for 1/1 – 4/30 is $24,000
AI = $24,000 x (12/4) = $72,000
T = $13,500
SPT = $13,500 x (4/12) = $4,500
Does alternative apply? Yes, as follows.
1.    TI = $50,000
2.    Tax = $7,500
3.    ASPT = $7,500 x ($24,000/$50,000) = $3,600
4.    (Tax on SPTI not annualized = $3,600), so ASPT = $3,600

So X Corporation’s short-period tax = Lesser of $4,500 or $3,600 = $3,600


Chapter 13, Exhibit 14       CCH Federal Taxation Basic Principles          22 of 88
Accounting Methods
   Must clearly reflect income.
      Income should be reflected with as much accuracy as
        standard methods of accounting practice permit
   If method does not clearly reflect income
      Tax computation is to be made under a method that IRS
        agrees will clearly reflect income
   The two most commonly used overall methods:
        (1) Cash method and
        (2) Accrual method
   Special treatment is accorded various types of revenue (e.g.,
    installment sales) and many types of expenses (e.g., bad debts)


Chapter 13, Exhibit 15     CCH Federal Taxation Basic Principles   23 of 88
Cash Method

   Vast majority of individuals and many businesses use it
   Income recognized in tax year when cash and/or cash
    equivalents are actually or constructively received
   Expenses generally deductible in tax year paid unless
    they are attributable to more than one year
   Cash equivalents may take many different forms




Chapter 13, Exhibit 16   CCH Federal Taxation Basic Principles   24 of 88
Constructive Receipt
   Income constructively received in tax year in which:
      It is credited to the taxpayer’s account,
      Set apart for the taxpayer, or
      Made available to the taxpayer to draw upon
      If the taxpayer’s control of its receipt is not subject to
        substantial limitations or restrictions
   The payer must:
      Have ability to pay,
      Set aside funds for payments, and
      Not place substantial restrictions on taxpayer’s ability to access
        funds (or property)
   If these conditions are met, then taxpayer cannot deliberately turn
    back on income and thus select year of reporting


Chapter 13, Exhibit 17     CCH Federal Taxation Basic Principles     25 of 88
Cash Basis Taxpayer Examples

1.     X received a $1,000 check on 12/28/2011 but did not
       cash it until 1/2/2012. X has constructive receipt on
       12/28/2011.
2.     On 12/15/2012, Y completed a job for Z, Z gave Y a
       $9,000 check. Y returned the check and asked Z to give
       it to him on 1/3/2013. Y has constructive receipt on
       12/15/2012.
3.     A performs a service for B. B gives a 100 shares of stock
       worth $6,000. A has income of $6,000 at time of receipt.
        The stock’s FMV is a cash equivalent.

Chapter 13, Exhibit 18   CCH Federal Taxation Basic Principles   26 of 88
Deductibility of Expenses
   Does not coincide with the recognition of income
    under cash method
   Expenses are recognized in year they are paid
      Some expenditures are recognized as an expense
       over the asset’s life
   May be “paid” in cash or in property
      Not by note of the taxpayer even if secured by
       collateral


Chapter 13, Exhibit 19        CCH Federal Taxation Basic Principles   27 of 88
Limitations on Use of Cash Method
   Three types of taxpayers cannot use cash method of accounting for tax purposes:
     1. C corporations
     2. Partnerships which have a C corporation as a partner
     3. Tax shelters
   Small businesses can use cash method of accounting if have
      Average annual gross receipts of $5 million or less over the past three years
      The three-year period does not include current tax year in which
        determination is being made
   Gross receipts:
      Deduct sales returns and allowances from gross receipts
      Exclude dividends, interest, gross rents, other income, and net gains and
        losses from sales of capital and business assets
   Qualified personal service corporation may use the cash method of accounting



Chapter 13, Exhibit 20      CCH Federal Taxation Basic Principles               28 of 88
Accrual Method
   Income recognized in year:
      All events that determine right to receive income have occurred
      Amount can be determined with reasonable accuracy
   Expenses recognized in year:
      Legal obligation to make payments comes into existence
      All events that determine fact of the liability have occurred
      Amount can be determined with reasonable accuracy
   All events test not met until economic performance with respect to
    item has occurred
      Economic performance occurs if liability arises because a
       service or property is provided to taxpayer
   Taxpayer must keep adequate books

Chapter 13, Exhibit 21a   CCH Federal Taxation Basic Principles   29 of 88
Accrual Method
   Income recognized when:
      Unconditional right to receive it
      Amount is determinable with reasonable accuracy
      Amount is collectible
   If taxpayer’s right to receive is dependent upon future events
      Postpone income recognition until those contingencies occur or
        lapse
   If real doubt and uncertainty exist as to whether amount due will
    ever be collected
      Postpone income recognition




Chapter 13, Exhibit 21b   CCH Federal Taxation Basic Principles   30 of 88
Accrual Basis Taxpayer Examples

  1.      Joe performed accounting work for Jerry. The agreed upon price was
          $20,000 and payment was due 30 days after completion. Joe finished
          the work on 7/8/12. Joe recognizes $20,000 on 7/8/12.
  2.      Assume the same as #1 except Jerry contests the quality of the work
          performed and has indicated that he will not pay any amount. Since the
          amount is not determinable, Joe does not recognize income on 7/8/12.
          Joe will recognize income when his claim against Jerry is reasonably
          determinable.
  3.      Jen performs legal work for ABC Company. In return, she receives
          rights to buy 10,000 shares of ABC Company if it goes public (currently
          it is not in the process of making an initial public offering). Jen does not
          recognize income when she receives the rights because the rights are
          contingent on ABC Company going public and there is no indication
          that this will happen.

Chapter 13, Exhibit 22a       CCH Federal Taxation Basic Principles              31 of 88
Accrual Basis Taxpayer Examples

4.     On 10/9/11, Ed signs a contract to perform legal services for Z Co. and
       receives $30,000 payment. The contract requires that Ed be available for
       30 hours of consulting over the next three years. Under the claim of right
       doctrine, Ed must recognize $30,000 on 10/9/11.
5.     Assume the same facts as #4 except the contract period ends on 10/9/12.
       Ed may use his accrual method and recognize income as he performs the
       services.




Chapter 13, Exhibit 22b     CCH Federal Taxation Basic Principles            32 of 88
Prepaid Income and Expenses
   Generally taxable in year received
   Accrual-basis taxpayers may elect to recognize prepaid subscription income
    over subscription period
      Applicable to all prepaid subscription income
   Membership organization that receives prepaid dues may elect to recognize
    income over time period it has a liability to render these services unless
    income relates to a liability that extends for more than 36 months
   Accrual-basis taxpayers can deduct interest only in period in which use of the
    money occurs
   Accrual-basis taxpayers may include prepayment for services in gross
    income in year of receipt
      If certain conditions are met, the income may be spread over year of
        receipt and/or the following year (prepaid service income method)
      To qualify for prepaid service income method, taxpayer must perform all
        services under an agreement by end of tax year following year of receipt



Chapter 13, Exhibit 23     CCH Federal Taxation Basic Principles             33 of 88
Separate Sources of Income

   Taxpayer with two or more separate and distinct
    businesses
      Different accounting method may be used for each

       business
      Must maintain separate books and records

      May not shift profits and losses between businesses

       via inventory adjustments, sales, purchases, or
       expenses


Chapter 13, Exhibit 24   CCH Federal Taxation Basic Principles   34 of 88
Hybrid Methods
   Many combinations of permissible accounting methods
    may be used
   But a taxpayer’s choice is not unlimited
     If cash method is used for income, it must also be
      used for expenses
     If accrual method is used for expenses, it must also
      be used for income
     Accrual method is required if inventories are an
      income-producing factor

Chapter 13, Exhibit 25   CCH Federal Taxation Basic Principles   35 of 88
Change of Accounting Methods
     IRS permission must be obtained
     Major changes in accounting method include:
       1.   Change to or from cash-basis method
       2.   Change in method of valuing inventory
       3.   Change from accrual method to a long-term contract method or vice
            versa
       4.   Change involving the adoption, use, or discontinuance of any other
            specialized method of computing income, such as the crop method by
            farmers
       5.   Certain changes in computing depreciation or amortization
       6.   Change for which the Code or Regulations specifically require consent
     If taxpayer’s method does not clearly reflect income, then IRS may
      prescribe a method which does
     Change in method does not include correction of mathematical and posting
      errors, or of errors in the computation of tax liability



Chapter 13, Exhibit 26     CCH Federal Taxation Basic Principles            36 of 88
Adjustment – Voluntary/Required Change
   Adjustments must be made in year of change to prevent items
    from being duplicated or entirely omitted
   Net adjustment = sum of positive and negative adjustments
   Adjustment period for taxpayer-initiated changes that result in a
    positive adjustment is four years
      Tax year of change is first year
      If adjustment is less than $25,000, may elect a one-year
        adjustment period
   Adjustment period is one year for negative adjustments
   A positive adjustment due to a change initiated by IRS generally
    is recognized over the four-year period as noted above
      However, IRS can require that it be recognized over a shorter
        time period


Chapter 13, Exhibit 27   CCH Federal Taxation Basic Principles   37 of 88
Change in Accounting Method Example

Kim Co. is a cash basis, calendar year taxpayer. It changed to the accrual method in 2012 and
    determined its net income as follows:
Sales                             $800,000
Cost of goods sold                 500,000
Gross profit                       300,000
Expenses                           100,000
Net Income                        $200,000
On 12/31/2011, it had $30,000 in inventory, accounts receivable of $23,000 and $29,000 in accounts
    payable.
Kim Co.s net adjustment to Net income is $24,000, based as follows:
    Positive adjustment for ending inventory                        $30,000
    Positive adjustment for ending accounts receivable                23,000
    Negative adjustment for ending accounts payable                  (29,000)
    Net adjustment                                                  $24,000
Thus, it can add $6,000 ($24,000/4) to income in 2012, 2013, 2014, and 2015 or add $24,000 to the
    $200,000 in 2012.




Chapter 13, Exhibit 28          CCH Federal Taxation Basic Principles                       38 of 88
Inventories
   Must use the accrual method of accounting if inventories
    are an income-producing factor
   Cost of goods sold:
      Recognized when inventory sold
      Equals:
       Opening inventory
       + Inventory purchased or produced
       - Ending inventory
   Value of ending inventory a function of:
      (1) What costs are included
      (2) Cost flow assumptions made




Chapter 13, Exhibit 29   CCH Federal Taxation Basic Principles   39 of 88
Valuation of Inventory
     Two fundamental requirements for valuation of
      inventory:
       1. must conform as nearly as possible to best
          accounting practice in the trade or business
       2. must clearly reflect income
     Inventory may be valued at cost or lower-of-cost-or-
      market
     If LIFO method used, then the taxpayer cannot use
      lower-of-cost-or-market
     Lower-of-cost-or-market must be applied to each item
      in inventory


Chapter 13, Exhibit 30      CCH Federal Taxation Basic Principles   40 of 88
Cost Methods
   Cost of merchandise purchased equals:
     Invoice prices
     - Trade discounts
     + Incidental costs incurred to acquire the goods
   Cost of merchandise produced includes the cost of direct
    materials, direct labor, and indirect costs
      Manufacturers must use absorption costing (full costing) to
        value inventories
      Indirect costs that must be capitalized include repairs,
        maintenance, utilities, rent, and indirect labor and materials.
      §263A expands definition of includible costs by requiring
        most entities (especially manufacturers) to use uniform
        capitalization (UNICAP) rules


Chapter 13, Exhibit 31   CCH Federal Taxation Basic Principles      41 of 88
Uniform Capitalization Rules (UNICAP)
      Generally applies to:
         Real or personal property produced by taxpayer
         Real or personal property acquired by taxpayer for resale
      Under UNICAP, indirect costs include:
        1. Factory repairs and maintenance; utilities; rent; depreciation,
           amortization, and depletion; small tools; and insurance
        2. Indirect labor and production supervisory labor; administrative costs;
           indirect materials and supplies; rework, scrap, and spoilage; storage
           and warehousing costs; purchasing costs; handling, processing,
           assembly, repacking costs; and quality control and inspection costs
        3. Taxes (other than income taxes)
        4. Deductible contributions to pension, profit-sharing, stock bonus, or
           annuity plans
        5. Interest, but only for real property, long-lived property, or property
           requiring more than two years to produce



Chapter 13, Exhibit 32      CCH Federal Taxation Basic Principles            42 of 88
Cost Allocation Procedures
     Once total additional §263A costs are identified, next step in costing
      inventory is to allocate these costs
     Direct capitalized costs:
           Associated with specific production activities and products and
            allocated to them accordingly
           Taxpayer may use any method which reasonably allocates such costs
     Indirect costs allocated to activities and products using one of three
      methods:
       a)   Specific identification (costs are specifically identified with activities
            or products that directly benefit from the costs)
       b)   Standard costing (costs are allocated to products based upon
            established standards)
       c)   Burden rates (costs are allocated based on direct labor hours, direct
            labor costs, and similar expenses)


Chapter 13, Exhibit 33       CCH Federal Taxation Basic Principles              43 of 88
Simplified Retail Method
   May elect to use to allocate costs under §263A
   Fully capitalize costs for:
    1. Off-site storage and warehousing
    2. Purchasing
    3. Handling, processing, assembly
   Amount of mixed service costs (general and administrative
    costs) allocated requires two steps:
     1. Determine amount of mixed service costs that are
         additional §263A costs
     2. Allocate this amount to ending inventory


Chapter 13, Exhibit 34a       CCH Federal Taxation Basic Principles   44 of 88
Simplified Retail Method
   Amount of mixed service costs included under §263A is
    determined by multiplying such costs by ratio of:
     1. Total labor costs included in off-site, storage,
        purchasing, and handling cost to
     2. Total labor costs incurred in taxpayer’s business,
        excluding the labor included in the mixed service costs
   Once amount is determined, then allocated to ending
    inventory by multiplying amount in ending inventory that
    was purchased during year by the ratio of
     1. Total additional §263A costs to
     2. Taxpayer’s total purchases during year



Chapter 13, Exhibit 34b       CCH Federal Taxation Basic Principles   45 of 88
Inventory and UNICAP
    X Co. uses FIFO for its inventory. During the year it incurred:
           Storage costs = $200,000,
           Purchasing costs = $300,000, and
           Handling and processing costs = $100,000
           Labor costs included in amounts above = $180,000
           Mixed service costs = $250,000
           Total labor costs, excluding amounts included in mixed service costs = $2,000,000

•    X’s beginning inventory (excluding additional Code Sec. 263A costs) = $1,000,000
•    Total purchases = $7,000,000
•    Ending inventory = $1,500,000 (excluding additional Code Sec. 263A costs)
•    Since X Co. uses the FIFO method, the full $1,500,000 of ending inventory is considered purchased during the year

    X Co.’s ending inventory i= $1,633,350, consisting of :
           Original cost of $1,500,000
           + Capitalized additional Code Sec. 263A resale costs of $133,350 (determined below)

      •    First, determine mixed service costs considered additional Code Sec. 263A costs using the labor ratios:
               Labor ratio = $180,000/$2,000,000 = 9%
               Mixed service costs considered additional Code 263A costs = 9% × $250,000 = $22,500


      •    Next, determine total additional Code Sec. 263A and allocate to ending inventory (using the additional Code Sec. 263A
           costs to purchases ratio)
              Costs to purchase ratio = $622,500/$7,000,000 = 8.89%
              Additional Code Sec. 263A costs allocated to ending inventory            = 8.89% × $1,500,000 = $133,350




Chapter 13, Exhibit 35                    CCH Federal Taxation Basic Principles                                          46 of 88
Simplified Production Method
     Taxpayers may elect to use simplified production method to allocate capitalized
      costs for property produced
        Cannot be used for property acquired for resale and for property produced by
           taxpayer for use in its business
     Additional §263A costs allocated based on an absorption ratio and the allocation
      requires two steps
           First, compute the absorption ratio -- this is the ratio of:
       1.  Total additional §263A costs incurred during the year to
       2.  Total §471 costs incurred during the year
           Second – additional §263A costs capitalized equals:
       Absorption ratio x amount of §471 costs incurred during the year which are
       included in the taxpayer’s ending inventory
        If taxpayer uses FIFO, then absorption ratio is applied to §471 costs included
           in ending inventory
        If taxpayer uses LIFO, then absorption ratio is applied to §471 costs included
           in this year’s increase in inventory (the incremental layer)




Chapter 13, Exhibit 36       CCH Federal Taxation Basic Principles                 47 of 88
Lower-of-Cost-or-Market (LCM) Method

   Ending inventory may be written down to a lower
    market value unless taxpayer is using LIFO
   Lower cost or market must be applied to each item of
    inventory




Chapter 13, Exhibit 37   CCH Federal Taxation Basic Principles   48 of 88
LCM Example

Tom Co. uses LCM for inventory purposes
Cost and market information follows:

Item           Cost             Market       LCM
A              $10,000          $5,000       $5,000
B               14,000          18,000       14,000
C                 6,000          4,000         4,000
Total          $30,000         $27,000      $23,000
Its ending inventory is written down from $30,000 to $23,000

Chapter 13, Exhibit 38   CCH Federal Taxation Basic Principles   49 of 88
Valuation of Inventory Items
   May use one of four cost flow assumptions to value their
    inventories:
      Specific identification
      First-in, first-out (FIFO)
      Last-in, first-out (LIFO)
      Weighted average
   Does not have to agree with actual physical flow of goods
   Must receive IRS approval to use LIFO
   If LIFO is used for tax purposes then also must be used for
    financial reporting purposes


Chapter 13, Exhibit 39   CCH Federal Taxation Basic Principles   50 of 88
Inventory Valuation Example

Tati Co. sells widgets. Following is a review of its inventory and
purchases for the year
    1/1: 2,000 units in beginning inventory @ $20
    5/6: 1,000 units purchased @ $22
    7/10: 1,500 units @ $24
    11/15: 500 units @ $23
Tati Co. sold 4,000 units during the year for $200,000

What is Tati Co.’s gross profit under FIFO, LIFO and weighted
average inventory valuation systems?

Chapter 13, Exhibit 40   CCH Federal Taxation Basic Principles   51 of 88
Inventory Valuation Example - FIFO

Sales                                                            $200,000
Inventory 1/1             $40,000
Purchases                  69,500
Available for sale                            $109,500
Ending inventory
   500@ $24              $12,000
   500@ $23               11,500                   23,500
Cost of goods sold                                                 86,000
Gross profit                                                     $114,000

Chapter 13, Exhibit 41   CCH Federal Taxation Basic Principles              52 of 88
Inventory Valuation Example - LIFO

Sales                                                            $200,000
Inventory 1/1             $40,000
Purchases                  69,500
Available for sale                            $109,500
Ending inventory
       1,000@ $20                                 20,000
Cost of goods sold                                                 89,500
Gross profit                                                     $110,500



Chapter 13, Exhibit 42   CCH Federal Taxation Basic Principles              53 of 88
Inventory Valuation Example—Weighted
                Average Cost
Sales                                                            $200,000
Inventory 1/1             $40,000
Purchases                  69,500
Available for sale                              $109,500
Ending inventory
   $109,500/5,000 = $21.90
   1,000@ $21.90                                   21,900
Cost of goods sold                                                 87,600
Gross profit                                                     $112,400




Chapter 13, Exhibit 43   CCH Federal Taxation Basic Principles              54 of 88
Dollar-Value LIFO Method
   Increase in LIFO value is determined by:
      Comparing the total dollar value of beginning and
       ending inventories at base-year (first LIFO year) prices
      Then converting any dollar-value increase to current
       prices by means of an index
   Allowed to determine base-year dollars through the use of
    government indexes
   Several price index methods are permitted
   Double extension method is used most frequently


Chapter 13, Exhibit 44   CCH Federal Taxation Basic Principles   55 of 88
Double Extension Method
1.      Determine opening inventory at base-year prices (the prices in
        effect when LIFO was adopted)
2.      Determine ending inventory at base-year prices
3.      Compute the difference
          The result is either an increase (increment) or a decrease
            (decrement)
4.      Determine a price index to value increment, if any
          Index equals ending inventory at current prices/ending
            inventory at base-year prices
5.      Adjust inventory “layers” for any increment or decrement
          Every increment represents a new layer
          Any decrement uses up most recently added layer or layers
            first


 Chapter 13, Exhibit 45       CCH Federal Taxation Basic Principles   56 of 88
Dollar Value LIFO Example

Jenn Co started business in 2011 and uses the LIFO method. Inventory
   information follows:
1/1/2011: inventory = $10,000 (base period, index = 1.0)
                         inventory (actual prices) inventory (base-year prices)
12/31/2011              $26,000             $21,000
12/31/2012              $30,000             $16,000
12/31/2013              $40,000             $29,000
What amount did Jenn Co. use to value its ending inventory in 2011, 2012, and
   2013?




Chapter 13, Exhibit 46             CCH Federal Taxation Basic Principles          57 of 88
Dollar Value LIFO Example - 2011

                             1/1/2011 Index         12/31/2011
1/1/2011 inventory           $10,000 1.0            $10,000
2011 increase                 11,000 1.2381          13,619
Ending LIFO inventory        $21,000                $23,619

Keeping prices constant, the increment in inventory = $11,000 ($21,000 - $10,000)
Index = $26,000/$21,000 = 1.2381

Thus, Jenn Co. valued its ending inventory on 12/31/2011 at $23,619




Chapter 13, Exhibit 47       CCH Federal Taxation Basic Principles                  58 of 88
Dollar Value LIFO Example - 2012
                             1/1/2012               Index       12/31/2012
1/1/2011 base inventory      $10,000                1.0         $10,000
Remaining 2011 increase        6, 000               1.2381        7,429
Ending LIFO inventory        $16,000                            $17,429

Keeping prices constant, the increment in base inventory = $6,000 ($16,000 - $10,000)

Thus, Jenn Co. valued its ending inventory on 12/31/2012 at $17,429




Chapter 13, Exhibit 48       CCH Federal Taxation Basic Principles                59 of 88
Dollar Value LIFO Example - 2013

                             1/1/2013               Index       12/31/2013
1/1/2011 base inventory      $10,000                1.0         $10,000
Remaining 2011 increase        6, 000               1.2381        7,429
2013 increase                 13,000                1.3793       17,931
Ending LIFO inventory        $29,000                            $35,360

Keeping prices constant, the increment in base inventory = $6,000 ($16,000 - $10,000)
Index = $40,000/$29,000 = 1.3793

Thus, Jenn Co. valued its ending inventory on 12/31/2013 at $35,360




Chapter 13, Exhibit 49       CCH Federal Taxation Basic Principles                60 of 88
Simplified Dollar-Value LIFO Method
   May elect to use simplified dollar-value LIFO method, but then
    must be used to value all LIFO inventories
      May elect for any year in which average annual gross receipts
        for preceding three years do not exceed $5 million
   Taxpayer groups inventory into pools for each major category in
    the applicable government price index provided by Bureau of
    Labor Statistics
   Each pool is separately adjusted using appropriate government
    index
   Do not compute base period prices
   Use year-end inventory values and determine an assumed base
    period value by applying the government price index
   If resulting base period value exceeds opening inventory value at
    base period prices, then increment is valued using same index


Chapter 13, Exhibit 50   CCH Federal Taxation Basic Principles     61 of 88
Simplified Dollar-Value LIFO Example
Andy Inc. uses the simplified dollar-value LIFO method.
Relevant inventory information follows:

           CPI
2012:      1.10
2013:      1.14
           Inventory – base year prices
2012:      $420,000
2013:      $500,000

What ending inventory value will Andy Inc. use for 2013?



Chapter 13, Exhibit 51a     CCH Federal Taxation Basic Principles   62 of 88
Simplified Dollar-Value LIFO Example

2012 inventory value                                         $420,000
2013 increase in inventory                                     64,727*
2013 year-end inventory value                                $484,727

*2013 increase in inventory:
Ending inventory at assumed base-year prices = $500,000 x (1.1/1.14) = $482,456
Increase at 2012 base prices = $482,456 - $420,000 = $62,456
Increase at 2013 base prices = $62,456 x (1.14/1.1) = $64,727




Chapter 13, Exhibit 51b             CCH Federal Taxation Basic Principles         63 of 88
Estimates of Inventory Shrinkage
   Permits a business to determine its year-end closing
    inventory by using estimates for shrinkage (e.g., loss due to
    theft)
   Year-end physical count not necessary if:
      Normally take a physical count of inventories at each
       business location on a regular and consistent basis and
      Make proper adjustments to inventories and to
       estimating methods to extent estimates differ from actual
       shrinkage.



Chapter 13, Exhibit 52   CCH Federal Taxation Basic Principles   64 of 88
Long-Term Contracts
   Any contract for manufacture, building, installation, or
    construction of property if such property is not completed within
    the taxable year into which contract is entered
   Two alternatives:
       (1) Percentage-of-completion method (or modified
       percentage-of-completion method in some cases), and (2)
       Completed-contract method (in limited circumstances)
   Method selected must be used for all long-term contracts in
    same trade or business
   All cost associated with contract are capitalized and deducted as
    profits are recognized



Chapter 13, Exhibit 53     CCH Federal Taxation Basic Principles   65 of 88
Capitalization of Expenses
   The following expenses must be capitalized:
     1. Cost recovery of assets employed for work on specific
        contracts
     2. Pension costs representing current service costs
     3. General and administrative expenses relating to specific
        contracts
     4. R&D expenses with respect to specific contracts
     5. Scrap and spoilage costs



Chapter 13, Exhibit 54    CCH Federal Taxation Basic Principles    66 of 88
Percentage-of-Completion Method
   Report income under the contract annually based on estimated progress
   Percentage of completion =
      allocated costs to the contract and direct costs incurred by the close of the
        year/estimated total contract costs
   Income reported for year = Total contract price x Percentage
   Must use a look-back method in year contract is completed
      Compare the actual completion level to the claimed level
      Redetermine taxable income and tax liability accordingly
      Interest is charged on any underpayment and is received for any overpayment
   Long-term contracts completed within two years of contract commencement are
    exempt from look-back method if gross contract price does not exceed lesser of
    $1,000,000 or 1 percent of taxpayer’s average gross receipts for the previous three
    years
   Many elect not to apply the look-back method for long-term contracts completed
    during year and in all subsequent years if actual contract taxable income is within 10
    percent of estimated taxable income under percentage-of-completion method (using
    estimated contract price and costs)

Chapter 13, Exhibit 55        CCH Federal Taxation Basic Principles                  67 of 88
Modified Percentage-of-Completion Method

   Available for contracts less than 10 percent complete at
    end of year
   May elect to defer reporting any income from contract
    until at least 10 percent of work is completed




Chapter 13, Exhibit 56   CCH Federal Taxation Basic Principles   68 of 88
Completed Contract Methods
   No income until final completion of contract
      All costs are accumulated and recognized at
       completion
   Only small construction contractors and home
    construction contractors can use
      Those whose average gross receipts for three
       preceding tax years do not exceed $10,000,000




Chapter 13, Exhibit 57   CCH Federal Taxation Basic Principles   69 of 88
Long-Term Contracts Example
James Co. is a small construction contractor.
In 2012 it entered into a two-year building contract with Dan Co.
Contract price is $4,000,000 and expected costs are $3,000,000.
2012 actual costs:     $1,500,000
2013 actual costs:     $1,200,000

What gross profit will James Co. report in 2012 and 2013 under the
percentage-of-completion method and the completed-contract
method?




Chapter 13, Exhibit 58a   CCH Federal Taxation Basic Principles   70 of 88
Long-Term Contracts Example

Percentage-of-completion method
                              2012                                 2013
Gross revenue*             $2,000,000                         $2,000,000
Actual costs                1,500,000                          1,200,000
Gross profit                 $500,000                           $800,000



*2012: ($1,500,000/$3,000,000) x $4,000,000 = $2,000,000
 2013: $4,000,000 - $2,000,000 = $2,000,000




Chapter 13, Exhibit 58b    CCH Federal Taxation Basic Principles           71 of 88
Long-Term Contracts Example

Completed-contract method
                          2012                               2013
Gross revenue             $0                                 $4,000,000
Actual costs                0                                 2,700,000
Gross profit               $0                                $1,300,000




Chapter 13, Exhibit 58c   CCH Federal Taxation Basic Principles           72 of 88
Installment Sales
   Disposition of property where at least one payment is received after
    the close of tax year in which disposition occurs
   May be used by cash-basis taxpayers as a means to defer gain
    recognition or to spread gain recognition over several tax periods
   May not be used if property is disposed of at a loss
   Does not change character of gain (capital or ordinary)
   Any depreciation recapture under §1245 and §1250 recognized in year
    of sale
   Not available to all taxpayers
   Must use installment method for tax purposes if taxpayer disposes
    property under an installment contract and disposition qualifies for
    installment method
      May make an irrevocable election not to use installment method



Chapter 13, Exhibit 59   CCH Federal Taxation Basic Principles     73 of 88
Computation of Gain

     Step 1.             Determine gross profit from the sale
     Step 2.             Determine contract price
                          Generally equals amount seller will receive
                          Can never be less than gross profit
     Step 3.             Compute gross profit percentage
                          Gross profit percentage = Gross profit/Contract
                           price
     Step 4.             Determine gain recognized in year of sale
                          Equals: Payments received × Gross profit
                           percentage

Chapter 13, Exhibit 60          CCH Federal Taxation Basic Principles    74 of 88
Installment Sale Example
   Susan sold property (capital asset) for $500,000 (after
    all transaction costs) in 2012
   She acquired the property five years ago for $200,000
   There is a $50,000 liability on the property
   The buyer assumes the liability
   Susan will receive $300,000 in 2012 and $150,000 in
    2013
   What income (gain) will Susan report in 2012 and
    2013?

Chapter 13, Exhibit 61a   CCH Federal Taxation Basic Principles   75 of 88
Installment Sale Example

Gain on sale: $500,000 - $200,000 = $300,000
Contract price: $500,000 - $50,000 = $450,000
Gross profit percentage: $300,000/$450,000 = 66.67%
2012 income: $300,000 x 66.67% = $200,000 LTCG
2013 income: $150,000 x 66.67% = $100,000 LTCG
Total income recognized: $300,000 LTCG




Chapter 13, Exhibit 61b   CCH Federal Taxation Basic Principles   76 of 88
Installment Sale Example
   Susan sold property for $500,000 (after all transaction
    costs) in 2012
   She acquired the property five years ago for $200,000
   Total depreciation subject to §1245 recapture taken was
    $30,000
   There is a $50,000 liability on the property
   The buyer assumes the liability
   Susan will receive $300,000 in 2012 and $150,000 in 2013
   What income (gain) will Susan report in 2012 and 2013?


Chapter 13, Exhibit 61c   CCH Federal Taxation Basic Principles   77 of 88
Installment Sale Example

Gain on sale: $500,000 - $200,000 = $300,000
Contract price: $500,000 - $50,000 = $450,000
§1245 gain recognized on sale: $30,000
Gross profit percentage: ($300,000-$30,000)/$450,000 = 60%
2012 income: $300,000 x 60% = $180,000 §1231 gain (and
  $30,000 §1245 gain)
2013 income: $150,000 x 60% = $90,000 §1231 gain
Total income recognized: $300,000



Chapter 13, Exhibit 61d   CCH Federal Taxation Basic Principles   78 of 88
Dispositions of Installment Obligations
   Must determine obligation’s AB and gain or loss on
    disposition
   AB of installment obligation equals
      Face amount of obligation in excess of income that
       would have been reported if obligation had been
       paid in full
   Gain/loss = amount realized if obligation is sold (or
    obligation’s FMV if it is disposed of other than by sale)
    - AB
   Character of gain/loss is based on property sold under
    installment method


Chapter 13, Exhibit 62   CCH Federal Taxation Basic Principles   79 of 88
Disposition of Installment Obligation—
                      Example
Tom sold land (§1231 asset) in 2011 for $100,000
His basis in the land was $30,000
He received $25,000 in 2011 and $35,000 in 2012
He sold the installment obligation in 2013 for $23,000
What is Tom’s gain (loss) on the sale of the installment
  obligation in 2013?




Chapter 13, Exhibit 63a   CCH Federal Taxation Basic Principles   80 of 88
Disposition of Installment Obligation—
                      Example
2011:
Realized gain: $100,000 - $30,000 = $70,000
Gross profit percentage: $70,000/$100,000 = 70%
Income reported in 2011: $25,000 x .7 = $17,500 §1231 gain
-----------
2012:
Income reported: $35,000 x .7 = $24,500 §1231 gain
-----------
2013:
Adjusted basis of installment obligation: $40,000 - $28,000 = $12,000
Income reported from sale of installment obligation: $23,000 - $12,000 =
    $11,000 §1231 gain

Chapter 13, Exhibit 63b   CCH Federal Taxation Basic Principles            81 of 88
Repossessions of Personal Property
   A taxable event.
      Gain or loss equals:
         Difference between FMV of property repossessed
          and AB of installment obligation
   Any costs incurred during repossession increase AB of
    installment obligation.
   Character of gain or loss recognized is same as
    character of gain or loss recognized on original sale
   Basis of repossessed property is its FMV


Chapter 13, Exhibit 64   CCH Federal Taxation Basic Principles   82 of 88
Repossessions of Real Property
   Loss is not recognized
   Gain recognized is lesser of:
      (1) Cash and FMV of property received from buyer in excess
       of gain previously recognized by holder of installment
       obligation or
      (2) Gain not yet recognized by holder of installment
       obligation (deferred gross profit), reduced by repossession
       costs
      Character of gain is same as that recognized under original
       sale of property
   Basis of repossessed real property
      AB of installment obligation, increased by repossession costs
       and by any gain recognized from repossession


Chapter 13, Exhibit 65   CCH Federal Taxation Basic Principles   83 of 88
Personal Property Repossessions—Example

Kim sold a painting in 2011 for $80,000
She acquired the painting in 2004 for $20,000
Kim received $20,000 in 2011 and the remainder was due
  in 2012
Kim was unable to collect the $60,000, and repossessed
  the painting in 2013 when it was worth $50,000
She incurred $1,000 in repossession fees
What are the tax consequences of the repossession?


Chapter 13, Exhibit 66a   CCH Federal Taxation Basic Principles   84 of 88
Personal Property Repossessions—Example
2011:
Realized gain: $80,000 - $20,000 = $60,000
Gross profit percentage: $60,000/$80,000 = 75%
Income reported in 2011: $20,000 x .75 = $15,000 LTCG
----------
2012:
Nothing reported
----------
2013:
Adjusted basis of installment obligation: $60,000 - $45,000 = $15,000
Adjusted basis for repossession purposes = $15,000 + $1,000 = $16,000
Income reported from repossession: $50,000 - $16,000 = $34,000 LTCG
Kim’s basis in the painting = $50,000

Chapter 13, Exhibit 66b     CCH Federal Taxation Basic Principles       85 of 88
Real Property Repossessions—Example

Gary sold land in 2011 for $200,000
He bought the land in 2005 for $60,000
He received $50,000 in 2011 and the balance was due in
  2012
Gary was unable to collect the $150,000, and in 2013 he
  repossessed the land when it was worth $190,000
Repossession fees were $5,000
What are the tax consequences of the repossession?


Chapter 13, Exhibit 67a   CCH Federal Taxation Basic Principles   86 of 88
Real Property Repossessions—Example
2011:
Realized gain: $200,000 - $60,000 = $140,000
Gross profit percentage: $140,000/$200,000 = 70%
Income reported in 2011: $50,000 x .70 = $35,000 LTCG
----------
2012:
Nothing reported
----------
2013:
Adjusted basis of installment obligation: $150,000 - $105,000 = $45,000
(1) Excess of payments received – gain reported in previous years: $50,000 - $35,000 =
     $15,000
(2) Gain not yet reported: $150,000 x .7 = $105,000
Income reported from repossession: lesser of [(1) or (2)] – repossession fees
= lesser of $15,000 or ($105,000 - $5,000) = $15,000 LTCG
Gary’s basis in the painting = $45,000 + $5,000 + $15,000 = $65,000

Chapter 13, Exhibit 67b      CCH Federal Taxation Basic Principles                87 of 88
Advantages and Disadvantages of
                   Installment Method
Advantages                                    Disadvantages
1. Tax liabilities deferred until             1. Default risk and potential
   proceeds are available                        collection costs
2. Marginal tax rates may decline in          2. In periods of inflation - loss of
                                                 purchasing power
   future years                               3. Taxes deferred but so are
3. Interest income, to some extent,              collections
   may be converted to capital gains          4. Marginal tax rates may increase
   by charging a lower interest rate             during collection years
   and a higher price (but the imputed        5. Although the holding period in the
   interest rules affect this)                   year of sale determines whether the
4. Since the seller finances the                 transaction is short-term or long-
   purchase, sales are more easily               term, the character of the gain is
   made                                          determined in the year of
                                                 collection
                                              6. Depreciation recapture takes place
                                                 in the year of sale


Chapter 13, Exhibit 68    CCH Federal Taxation Basic Principles                88 of 88

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2013 cch basic principles ch13

  • 1. Chapter 13 Tax Accounting ©2012 CCH. All Rights Reserved. 4025 W. Peterson Ave. Chicago, IL 60646-6085 1 800 248 3248 www.CCHGroup.com
  • 2. Chapter 13 Exhibits 1. Computation of Taxable Income 2. Net Tax Liability 3. Accounting Periods 4. Election of the Tax Year 5. Partnerships 6. Partnership Accounting Period—Examples 7. Corporations, Estates, and Trusts 8. Change of Accounting Periods 9. IRS Permission or Consent 10. Exceptions to Permission Requirements 11. Short Tax Years 12. Short-Period Tax 13. Alternative Method 14. Short-Period Example Chapter 13, Exhibit Contents A CCH Federal Taxation Basic Principles 2 of 88
  • 3. Chapter 13 Exhibits 15. Accounting Methods 16. Cash Method 17. Constructive Receipt 18. Cash Basis Taxpayer Examples 19. Deductibility of Expenses 20. Limitations on Use of Cash Method 21. Accrual Method 22. Accrual Basis Taxpayer Examples 23. Prepaid Income and Expenses 24. Separate Sources of Income 25. Hybrid Methods 26. Change of Accounting Methods 27. Adjustment—Voluntary/Required Change 28. Change in Accounting Method Example Chapter 13, Exhibit Contents B CCH Federal Taxation Basic Principles 3 of 88
  • 4. Chapter 13 Exhibits 29. Inventories 30. Valuation of Inventory 31. Cost Methods 32. Uniform Capitalization Rules (UNICAP) 33. Cost Allocation Procedures 34. Simplified Retail Method 35. Inventory and UNICAP 36. Simplified Production Method 37. Lower-of-Cost-or-Market (LCM) Method 38. LCM Example 39. Valuation of Inventory Items 40. Inventory Valuation Example 41. Inventory Valuation Example—FIFO 42. Inventory Valuation Example—LIFO Chapter 13, Exhibit Contents C CCH Federal Taxation Basic Principles 4 of 88
  • 5. Chapter 13 Exhibits 43. Inventory Valuation Example—Weighted Average Cost 44. Dollar-Value LIFO Method 45. Double Extension Method 46. Dollar Value LIFO Example 47. Dollar Value LIFO Example—2009 48. Dollar Value LIFO Example—2010 49. Dollar Value LIFO Example—2011 50. Simplified Dollar-Value LIFO Method 51. Simplified Dollar-Value LIFO Example 52. Estimates of Inventory Shrinkage 53. Long-term Contracts 54. Capitalization of Expenses 55. Percentage-of-Completion Method 56. Modified Percentage-of-Completion Method Chapter 13, Exhibit Contents D CCH Federal Taxation Basic Principles 5 of 88
  • 6. Chapter 13 Exhibits 57. Completed Contract Methods 58. Long-term Contracts Example 59. Installment Sales 60. Computation of Gain 61. Installment Sale Example 62. Dispositions of Installment Obligations 63. Disposition of Installment Obligation—Example 64. Repossessions of Personal Property 65. Repossessions of Real Property 66. Personal Property Repossessions—Example 67. Real Property Repossessions—Example 68. Advantages and Disadvantages of Installment Method Chapter 13, Exhibit Contents E CCH Federal Taxation Basic Principles 6 of 88
  • 7. Computation of Taxable Income Individuals S Corporations Income Broadly Conceived Income Broadly Conceived Less: Exclusions Less: Exclusions Gross Income Gross Income Less: Deductions for Adjusted Gross Income Less: Deductions Adjusted Gross Income Ordinary Income Less: Deductions from Adjusted Gross Income Taxable Income Estates and Trusts Income Broadly Conceived C Corporations Less: Exclusions Income Broadly Conceived Gross Income Less: Exclusions Less: Deductions Gross Income Taxable Income Less: Deductions Routine Special Taxable Income Chapter 13, Exhibit 1 CCH Federal Taxation Basic Principles 7 of 88
  • 8. Net Tax Liability Individuals, C Corporations, and Estates and Trusts Gross Tax Liability Less: Credits Net Tax Liability Less: Prepayments Net Tax or Refund Due Chapter 13, Exhibit 2a CCH Federal Taxation Basic Principles 8 of 88
  • 9. Net Tax Liability  Many of the income, deductions, and credit concepts you have learned in first 12 chapters apply to all entities  However, there are numerous and substantial differences Chapter 13, Exhibit 2b CCH Federal Taxation Basic Principles 9 of 88
  • 10. Accounting Periods  Tax year - calendar year or fiscal year on the basis of which taxable income is determined  May not exceed 12 months  Calendar year - ends on December 31  Fiscal year - ends on last day of any month other than December  Taxpayer must correlate accounting, financial, and business practices with the fiscal year used for tax returns  Tax return is required for a fractional part of a year  Known as a short tax year Chapter 13, Exhibit 3 CCH Federal Taxation Basic Principles 10 of 88
  • 11. Election of the Tax Year  New taxpayer may adopt any tax year without obtaining prior approval of IRS in first year.  First tax year must be adopted on or before time for filing the initial return  Taxpayers who do not have books must use the calendar year  Sole proprietors  Must use same period for business tax reporting purposes that they use for their personal books Chapter 13, Exhibit 4 CCH Federal Taxation Basic Principles 11 of 88
  • 12. Partnerships  Must use same tax year as that of its partners who have a majority interest  If partners owning a majority interest have different tax years  Partnership must adopt same tax year as that of its principal partners  Principal partner - a partner having ≥5 percent interest in partnership profits or capital  When neither condition is met  Partnership must use a year that results in least aggregate deferral of income to partners  Partnership income is considered to be earned by partners on the last day of partnership’s tax year Chapter 13, Exhibit 5 CCH Federal Taxation Basic Principles 12 of 88
  • 13. Partnership Accounting Period Examples 1. X and Y form XY Partnership. X owns 60% of XY, so XY must use X’s tax year. 2. A, B and C form ABC Partnership. They are equal owners. A and B are calendar taxpayers and C is a 5/31 year-end taxpayer. ABC must use the calendar year. Chapter 13, Exhibit 6a CCH Federal Taxation Basic Principles 13 of 88
  • 14. Partnership Accounting Period Examples M (40%), N (40%) and O (20%) form MNO Partnership. They have the following tax year ends: M: December 31 N: April 30 O: June 30 MNO must use a 12/31 year end based as follows: Possible Tax Year Ends 4/30 6/30 12/31 Months Months Months Partner Interest Partner Year End Deferred Total Deferred Total Deferred Total M 40% 12/31 8 3.2 6 2.4 0 0.0 N 40% 4/30 0 0.0 10 4.0 4 1.6 O 20% 6/30 2 0.4 0 0.0 6 1.2 3.6 6.4 2.8 December 31 year end has the least aggregate deferral. Chapter 13, Exhibit 6b CCH Federal Taxation Basic Principles 14 of 88
  • 15. Corporations, Estates, and Trusts  Newly organized C corporation may select any tax year  May differ from that of the shareholders  S corporation generally required to be a calendar year  Estate may adopt any tax year  Trusts must use calendar year Chapter 13, Exhibit 7 CCH Federal Taxation Basic Principles 15 of 88
  • 16. Change of Accounting Periods  In general, prior approval must be obtained  Usually obtained if there are substantial business reasons for change  Usually involves a short-period tax year Chapter 13, Exhibit 8 CCH Federal Taxation Basic Principles 16 of 88
  • 17. IRS Permission or Consent  Taxpayer must file an application on Form 1128  On or before the 15th day of third calendar month following the end of short year  Should show that there is a substantial business purpose for change and that any tax cost to IRS is insignificant  To prevent substantial distortion of income, an agreement between taxpayer and IRS is required  If approval is granted, taxpayer must file an income tax return for short period Chapter 13, Exhibit 9 CCH Federal Taxation Basic Principles 17 of 88
  • 18. Exceptions to Permission Requirements  An individual whose income is derived solely from wages, salaries, interest, dividends, capital gains, pensions and annuities, or rents and royalties  May change from the fiscal year to calendar year  Newly married individual  May adopt accounting period of other spouse without prior approval  All partnerships, S corporations, and personal service corporations that conform their tax years to their owners’ tax year  Other corporations have more restrictions to their annual accounting period without prior approval Chapter 13, Exhibit 10 CCH Federal Taxation Basic Principles 18 of 88
  • 19. Short Tax Years  Separate return is filed for short period beginning with day following the close of old tax year and ending with day preceding first day of new tax year  The procedures are as follows: 1. Annualize short-period income 2. Determine tax on the annualized income 3. Determine short-period tax Chapter 13, Exhibit 11 CCH Federal Taxation Basic Principles 19 of 88
  • 20. Short-Period Tax  Determine annualized income (AI) for short-period income (SPI): AI = SPI x (12/# months in short period)  Determine tax (T) on annualized income: From rate schedules  Determine short-period tax (SPT): SPT = T x (# months in short period/12) Chapter 13, Exhibit 12 CCH Federal Taxation Basic Principles 20 of 88
  • 21. Alternative Method  Annualization may result in inequities to taxpayer  An exception to general rule may result in less tax:  Determine taxable income for the 12-month period beginning on the first day of the short period  Determine the tax on the taxable income for this 12-month period  Alternative short-period tax ASPT) = Tax on 12-month period × [ Taxable income for short period/Taxable income for 12-month period]  Short-period tax computed in Step 3 cannot be less than it would have been if it had been computed on short-period taxable income without placing it on an annualized basis Chapter 13, Exhibit 13 CCH Federal Taxation Basic Principles 21 of 88
  • 22. Short-Period Example X Corporation uses a calendar year In 2012 it changed its accounting period to one ending on 4/30 Taxable income for 1/1/12-12/31/12 is $50,000 Taxable income for 1/1 – 4/30 is $24,000 AI = $24,000 x (12/4) = $72,000 T = $13,500 SPT = $13,500 x (4/12) = $4,500 Does alternative apply? Yes, as follows. 1. TI = $50,000 2. Tax = $7,500 3. ASPT = $7,500 x ($24,000/$50,000) = $3,600 4. (Tax on SPTI not annualized = $3,600), so ASPT = $3,600 So X Corporation’s short-period tax = Lesser of $4,500 or $3,600 = $3,600 Chapter 13, Exhibit 14 CCH Federal Taxation Basic Principles 22 of 88
  • 23. Accounting Methods  Must clearly reflect income.  Income should be reflected with as much accuracy as standard methods of accounting practice permit  If method does not clearly reflect income  Tax computation is to be made under a method that IRS agrees will clearly reflect income  The two most commonly used overall methods: (1) Cash method and (2) Accrual method  Special treatment is accorded various types of revenue (e.g., installment sales) and many types of expenses (e.g., bad debts) Chapter 13, Exhibit 15 CCH Federal Taxation Basic Principles 23 of 88
  • 24. Cash Method  Vast majority of individuals and many businesses use it  Income recognized in tax year when cash and/or cash equivalents are actually or constructively received  Expenses generally deductible in tax year paid unless they are attributable to more than one year  Cash equivalents may take many different forms Chapter 13, Exhibit 16 CCH Federal Taxation Basic Principles 24 of 88
  • 25. Constructive Receipt  Income constructively received in tax year in which:  It is credited to the taxpayer’s account,  Set apart for the taxpayer, or  Made available to the taxpayer to draw upon  If the taxpayer’s control of its receipt is not subject to substantial limitations or restrictions  The payer must:  Have ability to pay,  Set aside funds for payments, and  Not place substantial restrictions on taxpayer’s ability to access funds (or property)  If these conditions are met, then taxpayer cannot deliberately turn back on income and thus select year of reporting Chapter 13, Exhibit 17 CCH Federal Taxation Basic Principles 25 of 88
  • 26. Cash Basis Taxpayer Examples 1. X received a $1,000 check on 12/28/2011 but did not cash it until 1/2/2012. X has constructive receipt on 12/28/2011. 2. On 12/15/2012, Y completed a job for Z, Z gave Y a $9,000 check. Y returned the check and asked Z to give it to him on 1/3/2013. Y has constructive receipt on 12/15/2012. 3. A performs a service for B. B gives a 100 shares of stock worth $6,000. A has income of $6,000 at time of receipt. The stock’s FMV is a cash equivalent. Chapter 13, Exhibit 18 CCH Federal Taxation Basic Principles 26 of 88
  • 27. Deductibility of Expenses  Does not coincide with the recognition of income under cash method  Expenses are recognized in year they are paid  Some expenditures are recognized as an expense over the asset’s life  May be “paid” in cash or in property  Not by note of the taxpayer even if secured by collateral Chapter 13, Exhibit 19 CCH Federal Taxation Basic Principles 27 of 88
  • 28. Limitations on Use of Cash Method  Three types of taxpayers cannot use cash method of accounting for tax purposes: 1. C corporations 2. Partnerships which have a C corporation as a partner 3. Tax shelters  Small businesses can use cash method of accounting if have  Average annual gross receipts of $5 million or less over the past three years  The three-year period does not include current tax year in which determination is being made  Gross receipts:  Deduct sales returns and allowances from gross receipts  Exclude dividends, interest, gross rents, other income, and net gains and losses from sales of capital and business assets  Qualified personal service corporation may use the cash method of accounting Chapter 13, Exhibit 20 CCH Federal Taxation Basic Principles 28 of 88
  • 29. Accrual Method  Income recognized in year:  All events that determine right to receive income have occurred  Amount can be determined with reasonable accuracy  Expenses recognized in year:  Legal obligation to make payments comes into existence  All events that determine fact of the liability have occurred  Amount can be determined with reasonable accuracy  All events test not met until economic performance with respect to item has occurred  Economic performance occurs if liability arises because a service or property is provided to taxpayer  Taxpayer must keep adequate books Chapter 13, Exhibit 21a CCH Federal Taxation Basic Principles 29 of 88
  • 30. Accrual Method  Income recognized when:  Unconditional right to receive it  Amount is determinable with reasonable accuracy  Amount is collectible  If taxpayer’s right to receive is dependent upon future events  Postpone income recognition until those contingencies occur or lapse  If real doubt and uncertainty exist as to whether amount due will ever be collected  Postpone income recognition Chapter 13, Exhibit 21b CCH Federal Taxation Basic Principles 30 of 88
  • 31. Accrual Basis Taxpayer Examples 1. Joe performed accounting work for Jerry. The agreed upon price was $20,000 and payment was due 30 days after completion. Joe finished the work on 7/8/12. Joe recognizes $20,000 on 7/8/12. 2. Assume the same as #1 except Jerry contests the quality of the work performed and has indicated that he will not pay any amount. Since the amount is not determinable, Joe does not recognize income on 7/8/12. Joe will recognize income when his claim against Jerry is reasonably determinable. 3. Jen performs legal work for ABC Company. In return, she receives rights to buy 10,000 shares of ABC Company if it goes public (currently it is not in the process of making an initial public offering). Jen does not recognize income when she receives the rights because the rights are contingent on ABC Company going public and there is no indication that this will happen. Chapter 13, Exhibit 22a CCH Federal Taxation Basic Principles 31 of 88
  • 32. Accrual Basis Taxpayer Examples 4. On 10/9/11, Ed signs a contract to perform legal services for Z Co. and receives $30,000 payment. The contract requires that Ed be available for 30 hours of consulting over the next three years. Under the claim of right doctrine, Ed must recognize $30,000 on 10/9/11. 5. Assume the same facts as #4 except the contract period ends on 10/9/12. Ed may use his accrual method and recognize income as he performs the services. Chapter 13, Exhibit 22b CCH Federal Taxation Basic Principles 32 of 88
  • 33. Prepaid Income and Expenses  Generally taxable in year received  Accrual-basis taxpayers may elect to recognize prepaid subscription income over subscription period  Applicable to all prepaid subscription income  Membership organization that receives prepaid dues may elect to recognize income over time period it has a liability to render these services unless income relates to a liability that extends for more than 36 months  Accrual-basis taxpayers can deduct interest only in period in which use of the money occurs  Accrual-basis taxpayers may include prepayment for services in gross income in year of receipt  If certain conditions are met, the income may be spread over year of receipt and/or the following year (prepaid service income method)  To qualify for prepaid service income method, taxpayer must perform all services under an agreement by end of tax year following year of receipt Chapter 13, Exhibit 23 CCH Federal Taxation Basic Principles 33 of 88
  • 34. Separate Sources of Income  Taxpayer with two or more separate and distinct businesses  Different accounting method may be used for each business  Must maintain separate books and records  May not shift profits and losses between businesses via inventory adjustments, sales, purchases, or expenses Chapter 13, Exhibit 24 CCH Federal Taxation Basic Principles 34 of 88
  • 35. Hybrid Methods  Many combinations of permissible accounting methods may be used  But a taxpayer’s choice is not unlimited  If cash method is used for income, it must also be used for expenses  If accrual method is used for expenses, it must also be used for income  Accrual method is required if inventories are an income-producing factor Chapter 13, Exhibit 25 CCH Federal Taxation Basic Principles 35 of 88
  • 36. Change of Accounting Methods  IRS permission must be obtained  Major changes in accounting method include: 1. Change to or from cash-basis method 2. Change in method of valuing inventory 3. Change from accrual method to a long-term contract method or vice versa 4. Change involving the adoption, use, or discontinuance of any other specialized method of computing income, such as the crop method by farmers 5. Certain changes in computing depreciation or amortization 6. Change for which the Code or Regulations specifically require consent  If taxpayer’s method does not clearly reflect income, then IRS may prescribe a method which does  Change in method does not include correction of mathematical and posting errors, or of errors in the computation of tax liability Chapter 13, Exhibit 26 CCH Federal Taxation Basic Principles 36 of 88
  • 37. Adjustment – Voluntary/Required Change  Adjustments must be made in year of change to prevent items from being duplicated or entirely omitted  Net adjustment = sum of positive and negative adjustments  Adjustment period for taxpayer-initiated changes that result in a positive adjustment is four years  Tax year of change is first year  If adjustment is less than $25,000, may elect a one-year adjustment period  Adjustment period is one year for negative adjustments  A positive adjustment due to a change initiated by IRS generally is recognized over the four-year period as noted above  However, IRS can require that it be recognized over a shorter time period Chapter 13, Exhibit 27 CCH Federal Taxation Basic Principles 37 of 88
  • 38. Change in Accounting Method Example Kim Co. is a cash basis, calendar year taxpayer. It changed to the accrual method in 2012 and determined its net income as follows: Sales $800,000 Cost of goods sold 500,000 Gross profit 300,000 Expenses 100,000 Net Income $200,000 On 12/31/2011, it had $30,000 in inventory, accounts receivable of $23,000 and $29,000 in accounts payable. Kim Co.s net adjustment to Net income is $24,000, based as follows: Positive adjustment for ending inventory $30,000 Positive adjustment for ending accounts receivable 23,000 Negative adjustment for ending accounts payable (29,000) Net adjustment $24,000 Thus, it can add $6,000 ($24,000/4) to income in 2012, 2013, 2014, and 2015 or add $24,000 to the $200,000 in 2012. Chapter 13, Exhibit 28 CCH Federal Taxation Basic Principles 38 of 88
  • 39. Inventories  Must use the accrual method of accounting if inventories are an income-producing factor  Cost of goods sold:  Recognized when inventory sold  Equals: Opening inventory + Inventory purchased or produced - Ending inventory  Value of ending inventory a function of:  (1) What costs are included  (2) Cost flow assumptions made Chapter 13, Exhibit 29 CCH Federal Taxation Basic Principles 39 of 88
  • 40. Valuation of Inventory  Two fundamental requirements for valuation of inventory: 1. must conform as nearly as possible to best accounting practice in the trade or business 2. must clearly reflect income  Inventory may be valued at cost or lower-of-cost-or- market  If LIFO method used, then the taxpayer cannot use lower-of-cost-or-market  Lower-of-cost-or-market must be applied to each item in inventory Chapter 13, Exhibit 30 CCH Federal Taxation Basic Principles 40 of 88
  • 41. Cost Methods  Cost of merchandise purchased equals: Invoice prices - Trade discounts + Incidental costs incurred to acquire the goods  Cost of merchandise produced includes the cost of direct materials, direct labor, and indirect costs  Manufacturers must use absorption costing (full costing) to value inventories  Indirect costs that must be capitalized include repairs, maintenance, utilities, rent, and indirect labor and materials.  §263A expands definition of includible costs by requiring most entities (especially manufacturers) to use uniform capitalization (UNICAP) rules Chapter 13, Exhibit 31 CCH Federal Taxation Basic Principles 41 of 88
  • 42. Uniform Capitalization Rules (UNICAP)  Generally applies to:  Real or personal property produced by taxpayer  Real or personal property acquired by taxpayer for resale  Under UNICAP, indirect costs include: 1. Factory repairs and maintenance; utilities; rent; depreciation, amortization, and depletion; small tools; and insurance 2. Indirect labor and production supervisory labor; administrative costs; indirect materials and supplies; rework, scrap, and spoilage; storage and warehousing costs; purchasing costs; handling, processing, assembly, repacking costs; and quality control and inspection costs 3. Taxes (other than income taxes) 4. Deductible contributions to pension, profit-sharing, stock bonus, or annuity plans 5. Interest, but only for real property, long-lived property, or property requiring more than two years to produce Chapter 13, Exhibit 32 CCH Federal Taxation Basic Principles 42 of 88
  • 43. Cost Allocation Procedures  Once total additional §263A costs are identified, next step in costing inventory is to allocate these costs  Direct capitalized costs:  Associated with specific production activities and products and allocated to them accordingly  Taxpayer may use any method which reasonably allocates such costs  Indirect costs allocated to activities and products using one of three methods: a) Specific identification (costs are specifically identified with activities or products that directly benefit from the costs) b) Standard costing (costs are allocated to products based upon established standards) c) Burden rates (costs are allocated based on direct labor hours, direct labor costs, and similar expenses) Chapter 13, Exhibit 33 CCH Federal Taxation Basic Principles 43 of 88
  • 44. Simplified Retail Method  May elect to use to allocate costs under §263A  Fully capitalize costs for: 1. Off-site storage and warehousing 2. Purchasing 3. Handling, processing, assembly  Amount of mixed service costs (general and administrative costs) allocated requires two steps: 1. Determine amount of mixed service costs that are additional §263A costs 2. Allocate this amount to ending inventory Chapter 13, Exhibit 34a CCH Federal Taxation Basic Principles 44 of 88
  • 45. Simplified Retail Method  Amount of mixed service costs included under §263A is determined by multiplying such costs by ratio of: 1. Total labor costs included in off-site, storage, purchasing, and handling cost to 2. Total labor costs incurred in taxpayer’s business, excluding the labor included in the mixed service costs  Once amount is determined, then allocated to ending inventory by multiplying amount in ending inventory that was purchased during year by the ratio of 1. Total additional §263A costs to 2. Taxpayer’s total purchases during year Chapter 13, Exhibit 34b CCH Federal Taxation Basic Principles 45 of 88
  • 46. Inventory and UNICAP  X Co. uses FIFO for its inventory. During the year it incurred: Storage costs = $200,000, Purchasing costs = $300,000, and Handling and processing costs = $100,000 Labor costs included in amounts above = $180,000 Mixed service costs = $250,000 Total labor costs, excluding amounts included in mixed service costs = $2,000,000 • X’s beginning inventory (excluding additional Code Sec. 263A costs) = $1,000,000 • Total purchases = $7,000,000 • Ending inventory = $1,500,000 (excluding additional Code Sec. 263A costs) • Since X Co. uses the FIFO method, the full $1,500,000 of ending inventory is considered purchased during the year  X Co.’s ending inventory i= $1,633,350, consisting of : Original cost of $1,500,000 + Capitalized additional Code Sec. 263A resale costs of $133,350 (determined below) • First, determine mixed service costs considered additional Code Sec. 263A costs using the labor ratios:  Labor ratio = $180,000/$2,000,000 = 9%  Mixed service costs considered additional Code 263A costs = 9% × $250,000 = $22,500 • Next, determine total additional Code Sec. 263A and allocate to ending inventory (using the additional Code Sec. 263A costs to purchases ratio)  Costs to purchase ratio = $622,500/$7,000,000 = 8.89%  Additional Code Sec. 263A costs allocated to ending inventory = 8.89% × $1,500,000 = $133,350 Chapter 13, Exhibit 35 CCH Federal Taxation Basic Principles 46 of 88
  • 47. Simplified Production Method  Taxpayers may elect to use simplified production method to allocate capitalized costs for property produced  Cannot be used for property acquired for resale and for property produced by taxpayer for use in its business  Additional §263A costs allocated based on an absorption ratio and the allocation requires two steps First, compute the absorption ratio -- this is the ratio of: 1. Total additional §263A costs incurred during the year to 2. Total §471 costs incurred during the year Second – additional §263A costs capitalized equals: Absorption ratio x amount of §471 costs incurred during the year which are included in the taxpayer’s ending inventory  If taxpayer uses FIFO, then absorption ratio is applied to §471 costs included in ending inventory  If taxpayer uses LIFO, then absorption ratio is applied to §471 costs included in this year’s increase in inventory (the incremental layer) Chapter 13, Exhibit 36 CCH Federal Taxation Basic Principles 47 of 88
  • 48. Lower-of-Cost-or-Market (LCM) Method  Ending inventory may be written down to a lower market value unless taxpayer is using LIFO  Lower cost or market must be applied to each item of inventory Chapter 13, Exhibit 37 CCH Federal Taxation Basic Principles 48 of 88
  • 49. LCM Example Tom Co. uses LCM for inventory purposes Cost and market information follows: Item Cost Market LCM A $10,000 $5,000 $5,000 B 14,000 18,000 14,000 C 6,000 4,000 4,000 Total $30,000 $27,000 $23,000 Its ending inventory is written down from $30,000 to $23,000 Chapter 13, Exhibit 38 CCH Federal Taxation Basic Principles 49 of 88
  • 50. Valuation of Inventory Items  May use one of four cost flow assumptions to value their inventories:  Specific identification  First-in, first-out (FIFO)  Last-in, first-out (LIFO)  Weighted average  Does not have to agree with actual physical flow of goods  Must receive IRS approval to use LIFO  If LIFO is used for tax purposes then also must be used for financial reporting purposes Chapter 13, Exhibit 39 CCH Federal Taxation Basic Principles 50 of 88
  • 51. Inventory Valuation Example Tati Co. sells widgets. Following is a review of its inventory and purchases for the year 1/1: 2,000 units in beginning inventory @ $20 5/6: 1,000 units purchased @ $22 7/10: 1,500 units @ $24 11/15: 500 units @ $23 Tati Co. sold 4,000 units during the year for $200,000 What is Tati Co.’s gross profit under FIFO, LIFO and weighted average inventory valuation systems? Chapter 13, Exhibit 40 CCH Federal Taxation Basic Principles 51 of 88
  • 52. Inventory Valuation Example - FIFO Sales $200,000 Inventory 1/1 $40,000 Purchases 69,500 Available for sale $109,500 Ending inventory 500@ $24 $12,000 500@ $23 11,500 23,500 Cost of goods sold 86,000 Gross profit $114,000 Chapter 13, Exhibit 41 CCH Federal Taxation Basic Principles 52 of 88
  • 53. Inventory Valuation Example - LIFO Sales $200,000 Inventory 1/1 $40,000 Purchases 69,500 Available for sale $109,500 Ending inventory 1,000@ $20 20,000 Cost of goods sold 89,500 Gross profit $110,500 Chapter 13, Exhibit 42 CCH Federal Taxation Basic Principles 53 of 88
  • 54. Inventory Valuation Example—Weighted Average Cost Sales $200,000 Inventory 1/1 $40,000 Purchases 69,500 Available for sale $109,500 Ending inventory $109,500/5,000 = $21.90 1,000@ $21.90 21,900 Cost of goods sold 87,600 Gross profit $112,400 Chapter 13, Exhibit 43 CCH Federal Taxation Basic Principles 54 of 88
  • 55. Dollar-Value LIFO Method  Increase in LIFO value is determined by:  Comparing the total dollar value of beginning and ending inventories at base-year (first LIFO year) prices  Then converting any dollar-value increase to current prices by means of an index  Allowed to determine base-year dollars through the use of government indexes  Several price index methods are permitted  Double extension method is used most frequently Chapter 13, Exhibit 44 CCH Federal Taxation Basic Principles 55 of 88
  • 56. Double Extension Method 1. Determine opening inventory at base-year prices (the prices in effect when LIFO was adopted) 2. Determine ending inventory at base-year prices 3. Compute the difference  The result is either an increase (increment) or a decrease (decrement) 4. Determine a price index to value increment, if any  Index equals ending inventory at current prices/ending inventory at base-year prices 5. Adjust inventory “layers” for any increment or decrement  Every increment represents a new layer  Any decrement uses up most recently added layer or layers first Chapter 13, Exhibit 45 CCH Federal Taxation Basic Principles 56 of 88
  • 57. Dollar Value LIFO Example Jenn Co started business in 2011 and uses the LIFO method. Inventory information follows: 1/1/2011: inventory = $10,000 (base period, index = 1.0) inventory (actual prices) inventory (base-year prices) 12/31/2011 $26,000 $21,000 12/31/2012 $30,000 $16,000 12/31/2013 $40,000 $29,000 What amount did Jenn Co. use to value its ending inventory in 2011, 2012, and 2013? Chapter 13, Exhibit 46 CCH Federal Taxation Basic Principles 57 of 88
  • 58. Dollar Value LIFO Example - 2011 1/1/2011 Index 12/31/2011 1/1/2011 inventory $10,000 1.0 $10,000 2011 increase 11,000 1.2381 13,619 Ending LIFO inventory $21,000 $23,619 Keeping prices constant, the increment in inventory = $11,000 ($21,000 - $10,000) Index = $26,000/$21,000 = 1.2381 Thus, Jenn Co. valued its ending inventory on 12/31/2011 at $23,619 Chapter 13, Exhibit 47 CCH Federal Taxation Basic Principles 58 of 88
  • 59. Dollar Value LIFO Example - 2012 1/1/2012 Index 12/31/2012 1/1/2011 base inventory $10,000 1.0 $10,000 Remaining 2011 increase 6, 000 1.2381 7,429 Ending LIFO inventory $16,000 $17,429 Keeping prices constant, the increment in base inventory = $6,000 ($16,000 - $10,000) Thus, Jenn Co. valued its ending inventory on 12/31/2012 at $17,429 Chapter 13, Exhibit 48 CCH Federal Taxation Basic Principles 59 of 88
  • 60. Dollar Value LIFO Example - 2013 1/1/2013 Index 12/31/2013 1/1/2011 base inventory $10,000 1.0 $10,000 Remaining 2011 increase 6, 000 1.2381 7,429 2013 increase 13,000 1.3793 17,931 Ending LIFO inventory $29,000 $35,360 Keeping prices constant, the increment in base inventory = $6,000 ($16,000 - $10,000) Index = $40,000/$29,000 = 1.3793 Thus, Jenn Co. valued its ending inventory on 12/31/2013 at $35,360 Chapter 13, Exhibit 49 CCH Federal Taxation Basic Principles 60 of 88
  • 61. Simplified Dollar-Value LIFO Method  May elect to use simplified dollar-value LIFO method, but then must be used to value all LIFO inventories  May elect for any year in which average annual gross receipts for preceding three years do not exceed $5 million  Taxpayer groups inventory into pools for each major category in the applicable government price index provided by Bureau of Labor Statistics  Each pool is separately adjusted using appropriate government index  Do not compute base period prices  Use year-end inventory values and determine an assumed base period value by applying the government price index  If resulting base period value exceeds opening inventory value at base period prices, then increment is valued using same index Chapter 13, Exhibit 50 CCH Federal Taxation Basic Principles 61 of 88
  • 62. Simplified Dollar-Value LIFO Example Andy Inc. uses the simplified dollar-value LIFO method. Relevant inventory information follows: CPI 2012: 1.10 2013: 1.14 Inventory – base year prices 2012: $420,000 2013: $500,000 What ending inventory value will Andy Inc. use for 2013? Chapter 13, Exhibit 51a CCH Federal Taxation Basic Principles 62 of 88
  • 63. Simplified Dollar-Value LIFO Example 2012 inventory value $420,000 2013 increase in inventory 64,727* 2013 year-end inventory value $484,727 *2013 increase in inventory: Ending inventory at assumed base-year prices = $500,000 x (1.1/1.14) = $482,456 Increase at 2012 base prices = $482,456 - $420,000 = $62,456 Increase at 2013 base prices = $62,456 x (1.14/1.1) = $64,727 Chapter 13, Exhibit 51b CCH Federal Taxation Basic Principles 63 of 88
  • 64. Estimates of Inventory Shrinkage  Permits a business to determine its year-end closing inventory by using estimates for shrinkage (e.g., loss due to theft)  Year-end physical count not necessary if:  Normally take a physical count of inventories at each business location on a regular and consistent basis and  Make proper adjustments to inventories and to estimating methods to extent estimates differ from actual shrinkage. Chapter 13, Exhibit 52 CCH Federal Taxation Basic Principles 64 of 88
  • 65. Long-Term Contracts  Any contract for manufacture, building, installation, or construction of property if such property is not completed within the taxable year into which contract is entered  Two alternatives: (1) Percentage-of-completion method (or modified percentage-of-completion method in some cases), and (2) Completed-contract method (in limited circumstances)  Method selected must be used for all long-term contracts in same trade or business  All cost associated with contract are capitalized and deducted as profits are recognized Chapter 13, Exhibit 53 CCH Federal Taxation Basic Principles 65 of 88
  • 66. Capitalization of Expenses  The following expenses must be capitalized: 1. Cost recovery of assets employed for work on specific contracts 2. Pension costs representing current service costs 3. General and administrative expenses relating to specific contracts 4. R&D expenses with respect to specific contracts 5. Scrap and spoilage costs Chapter 13, Exhibit 54 CCH Federal Taxation Basic Principles 66 of 88
  • 67. Percentage-of-Completion Method  Report income under the contract annually based on estimated progress  Percentage of completion =  allocated costs to the contract and direct costs incurred by the close of the year/estimated total contract costs  Income reported for year = Total contract price x Percentage  Must use a look-back method in year contract is completed  Compare the actual completion level to the claimed level  Redetermine taxable income and tax liability accordingly  Interest is charged on any underpayment and is received for any overpayment  Long-term contracts completed within two years of contract commencement are exempt from look-back method if gross contract price does not exceed lesser of $1,000,000 or 1 percent of taxpayer’s average gross receipts for the previous three years  Many elect not to apply the look-back method for long-term contracts completed during year and in all subsequent years if actual contract taxable income is within 10 percent of estimated taxable income under percentage-of-completion method (using estimated contract price and costs) Chapter 13, Exhibit 55 CCH Federal Taxation Basic Principles 67 of 88
  • 68. Modified Percentage-of-Completion Method  Available for contracts less than 10 percent complete at end of year  May elect to defer reporting any income from contract until at least 10 percent of work is completed Chapter 13, Exhibit 56 CCH Federal Taxation Basic Principles 68 of 88
  • 69. Completed Contract Methods  No income until final completion of contract  All costs are accumulated and recognized at completion  Only small construction contractors and home construction contractors can use  Those whose average gross receipts for three preceding tax years do not exceed $10,000,000 Chapter 13, Exhibit 57 CCH Federal Taxation Basic Principles 69 of 88
  • 70. Long-Term Contracts Example James Co. is a small construction contractor. In 2012 it entered into a two-year building contract with Dan Co. Contract price is $4,000,000 and expected costs are $3,000,000. 2012 actual costs: $1,500,000 2013 actual costs: $1,200,000 What gross profit will James Co. report in 2012 and 2013 under the percentage-of-completion method and the completed-contract method? Chapter 13, Exhibit 58a CCH Federal Taxation Basic Principles 70 of 88
  • 71. Long-Term Contracts Example Percentage-of-completion method 2012 2013 Gross revenue* $2,000,000 $2,000,000 Actual costs 1,500,000 1,200,000 Gross profit $500,000 $800,000 *2012: ($1,500,000/$3,000,000) x $4,000,000 = $2,000,000 2013: $4,000,000 - $2,000,000 = $2,000,000 Chapter 13, Exhibit 58b CCH Federal Taxation Basic Principles 71 of 88
  • 72. Long-Term Contracts Example Completed-contract method 2012 2013 Gross revenue $0 $4,000,000 Actual costs 0 2,700,000 Gross profit $0 $1,300,000 Chapter 13, Exhibit 58c CCH Federal Taxation Basic Principles 72 of 88
  • 73. Installment Sales  Disposition of property where at least one payment is received after the close of tax year in which disposition occurs  May be used by cash-basis taxpayers as a means to defer gain recognition or to spread gain recognition over several tax periods  May not be used if property is disposed of at a loss  Does not change character of gain (capital or ordinary)  Any depreciation recapture under §1245 and §1250 recognized in year of sale  Not available to all taxpayers  Must use installment method for tax purposes if taxpayer disposes property under an installment contract and disposition qualifies for installment method  May make an irrevocable election not to use installment method Chapter 13, Exhibit 59 CCH Federal Taxation Basic Principles 73 of 88
  • 74. Computation of Gain Step 1. Determine gross profit from the sale Step 2. Determine contract price  Generally equals amount seller will receive  Can never be less than gross profit Step 3. Compute gross profit percentage  Gross profit percentage = Gross profit/Contract price Step 4. Determine gain recognized in year of sale  Equals: Payments received × Gross profit percentage Chapter 13, Exhibit 60 CCH Federal Taxation Basic Principles 74 of 88
  • 75. Installment Sale Example  Susan sold property (capital asset) for $500,000 (after all transaction costs) in 2012  She acquired the property five years ago for $200,000  There is a $50,000 liability on the property  The buyer assumes the liability  Susan will receive $300,000 in 2012 and $150,000 in 2013  What income (gain) will Susan report in 2012 and 2013? Chapter 13, Exhibit 61a CCH Federal Taxation Basic Principles 75 of 88
  • 76. Installment Sale Example Gain on sale: $500,000 - $200,000 = $300,000 Contract price: $500,000 - $50,000 = $450,000 Gross profit percentage: $300,000/$450,000 = 66.67% 2012 income: $300,000 x 66.67% = $200,000 LTCG 2013 income: $150,000 x 66.67% = $100,000 LTCG Total income recognized: $300,000 LTCG Chapter 13, Exhibit 61b CCH Federal Taxation Basic Principles 76 of 88
  • 77. Installment Sale Example  Susan sold property for $500,000 (after all transaction costs) in 2012  She acquired the property five years ago for $200,000  Total depreciation subject to §1245 recapture taken was $30,000  There is a $50,000 liability on the property  The buyer assumes the liability  Susan will receive $300,000 in 2012 and $150,000 in 2013  What income (gain) will Susan report in 2012 and 2013? Chapter 13, Exhibit 61c CCH Federal Taxation Basic Principles 77 of 88
  • 78. Installment Sale Example Gain on sale: $500,000 - $200,000 = $300,000 Contract price: $500,000 - $50,000 = $450,000 §1245 gain recognized on sale: $30,000 Gross profit percentage: ($300,000-$30,000)/$450,000 = 60% 2012 income: $300,000 x 60% = $180,000 §1231 gain (and $30,000 §1245 gain) 2013 income: $150,000 x 60% = $90,000 §1231 gain Total income recognized: $300,000 Chapter 13, Exhibit 61d CCH Federal Taxation Basic Principles 78 of 88
  • 79. Dispositions of Installment Obligations  Must determine obligation’s AB and gain or loss on disposition  AB of installment obligation equals  Face amount of obligation in excess of income that would have been reported if obligation had been paid in full  Gain/loss = amount realized if obligation is sold (or obligation’s FMV if it is disposed of other than by sale) - AB  Character of gain/loss is based on property sold under installment method Chapter 13, Exhibit 62 CCH Federal Taxation Basic Principles 79 of 88
  • 80. Disposition of Installment Obligation— Example Tom sold land (§1231 asset) in 2011 for $100,000 His basis in the land was $30,000 He received $25,000 in 2011 and $35,000 in 2012 He sold the installment obligation in 2013 for $23,000 What is Tom’s gain (loss) on the sale of the installment obligation in 2013? Chapter 13, Exhibit 63a CCH Federal Taxation Basic Principles 80 of 88
  • 81. Disposition of Installment Obligation— Example 2011: Realized gain: $100,000 - $30,000 = $70,000 Gross profit percentage: $70,000/$100,000 = 70% Income reported in 2011: $25,000 x .7 = $17,500 §1231 gain ----------- 2012: Income reported: $35,000 x .7 = $24,500 §1231 gain ----------- 2013: Adjusted basis of installment obligation: $40,000 - $28,000 = $12,000 Income reported from sale of installment obligation: $23,000 - $12,000 = $11,000 §1231 gain Chapter 13, Exhibit 63b CCH Federal Taxation Basic Principles 81 of 88
  • 82. Repossessions of Personal Property  A taxable event.  Gain or loss equals:  Difference between FMV of property repossessed and AB of installment obligation  Any costs incurred during repossession increase AB of installment obligation.  Character of gain or loss recognized is same as character of gain or loss recognized on original sale  Basis of repossessed property is its FMV Chapter 13, Exhibit 64 CCH Federal Taxation Basic Principles 82 of 88
  • 83. Repossessions of Real Property  Loss is not recognized  Gain recognized is lesser of:  (1) Cash and FMV of property received from buyer in excess of gain previously recognized by holder of installment obligation or  (2) Gain not yet recognized by holder of installment obligation (deferred gross profit), reduced by repossession costs  Character of gain is same as that recognized under original sale of property  Basis of repossessed real property  AB of installment obligation, increased by repossession costs and by any gain recognized from repossession Chapter 13, Exhibit 65 CCH Federal Taxation Basic Principles 83 of 88
  • 84. Personal Property Repossessions—Example Kim sold a painting in 2011 for $80,000 She acquired the painting in 2004 for $20,000 Kim received $20,000 in 2011 and the remainder was due in 2012 Kim was unable to collect the $60,000, and repossessed the painting in 2013 when it was worth $50,000 She incurred $1,000 in repossession fees What are the tax consequences of the repossession? Chapter 13, Exhibit 66a CCH Federal Taxation Basic Principles 84 of 88
  • 85. Personal Property Repossessions—Example 2011: Realized gain: $80,000 - $20,000 = $60,000 Gross profit percentage: $60,000/$80,000 = 75% Income reported in 2011: $20,000 x .75 = $15,000 LTCG ---------- 2012: Nothing reported ---------- 2013: Adjusted basis of installment obligation: $60,000 - $45,000 = $15,000 Adjusted basis for repossession purposes = $15,000 + $1,000 = $16,000 Income reported from repossession: $50,000 - $16,000 = $34,000 LTCG Kim’s basis in the painting = $50,000 Chapter 13, Exhibit 66b CCH Federal Taxation Basic Principles 85 of 88
  • 86. Real Property Repossessions—Example Gary sold land in 2011 for $200,000 He bought the land in 2005 for $60,000 He received $50,000 in 2011 and the balance was due in 2012 Gary was unable to collect the $150,000, and in 2013 he repossessed the land when it was worth $190,000 Repossession fees were $5,000 What are the tax consequences of the repossession? Chapter 13, Exhibit 67a CCH Federal Taxation Basic Principles 86 of 88
  • 87. Real Property Repossessions—Example 2011: Realized gain: $200,000 - $60,000 = $140,000 Gross profit percentage: $140,000/$200,000 = 70% Income reported in 2011: $50,000 x .70 = $35,000 LTCG ---------- 2012: Nothing reported ---------- 2013: Adjusted basis of installment obligation: $150,000 - $105,000 = $45,000 (1) Excess of payments received – gain reported in previous years: $50,000 - $35,000 = $15,000 (2) Gain not yet reported: $150,000 x .7 = $105,000 Income reported from repossession: lesser of [(1) or (2)] – repossession fees = lesser of $15,000 or ($105,000 - $5,000) = $15,000 LTCG Gary’s basis in the painting = $45,000 + $5,000 + $15,000 = $65,000 Chapter 13, Exhibit 67b CCH Federal Taxation Basic Principles 87 of 88
  • 88. Advantages and Disadvantages of Installment Method Advantages Disadvantages 1. Tax liabilities deferred until 1. Default risk and potential proceeds are available collection costs 2. Marginal tax rates may decline in 2. In periods of inflation - loss of purchasing power future years 3. Taxes deferred but so are 3. Interest income, to some extent, collections may be converted to capital gains 4. Marginal tax rates may increase by charging a lower interest rate during collection years and a higher price (but the imputed 5. Although the holding period in the interest rules affect this) year of sale determines whether the 4. Since the seller finances the transaction is short-term or long- purchase, sales are more easily term, the character of the gain is made determined in the year of collection 6. Depreciation recapture takes place in the year of sale Chapter 13, Exhibit 68 CCH Federal Taxation Basic Principles 88 of 88