Adjusting basis of inherited S stock for IRD.Income in respect of a decedent An individual who has died. The term literally means "one who is dying," but it is commonly used in the law to denote one who has died, particularly someone who has recently passed away. (IRE)) generally consists of items of gross income a decedent was entitled en·ti·tle tr.v. en·ti·tled, en·ti·tling, en·ti·tles 1. To give a name or title to. 2. To furnish with a right or claim to something: to at death that, because of the decedent's method of accounting, were not included in the final individual return; see Pegs. Sec. 1.691(a)-1(b). IRD IRD Institut de Recherche pour le Développement (French) IRD Inland Revenue Department (New Zealand's tax revenue collection department) IRD Integrated Receiver Decoder is included in a decedent's assets on the estate tax return and, when received, is includible in the income of the person or entity acquiring the right to receive it (i.e., the beneficiary). Some of the more common items that may be IRD include interest and dividend income from an S corporation's investments and income from installment sales Installment sale The sale of an asset in exchange for a specified series of payments (the installments). installment sale A sale in which the buyer is scheduled to make a series of payments over a period of time. made by an S corporation. Further, a cash-method professional practice will always have IRD in the form of its accounts receivable accounts receivable n. the amounts of money due or owed to a business or professional by customers or clients. Generally, accounts receivable refers to the total amount due and is considered in calculating the value of a business or the business' problems in paying , as these represent an asset to the decedent and are also income under the cash method of accounting when subsequently collected. S Stock Issues A person acquiring S stock from a decedent treats as IRE) his or her pro-rata share of income items that would have been IRD had the items been acquired directly from the decedent. To mitigate the fact that the income has been included in the estate and is taxable to the beneficiary as well, the beneficiary deducts the Federal estate tax attributable to the IRD as a miscellaneous itemized deduction Itemized Deduction A deduction from a taxpayer's taxable adjusted gross income that is made up of deductions for money spent on certain goods and services throughout the year. , not subject in the 2%-of-adjusted-gross-income (AGI (Artificial General Intelligence) A machine intelligence that resembles that of a human being. Considered impossible by many, most artificial intelligence (AI) research, projects and products deal with specific applications such as industrial robots, playing chess, ) limit; see Sec. 691(c). Example Robert owns 50% of the shares of Rib, Inc., a calendar-year S corporation. Rib is on the cash basis and holds a $400,000 note receivable note receivable A debt due from borrowers and evidenced by a written promise of payment. Note receivable, an entry on the asset side of many corporate balance sheets, indicates the dollar amount of loans due to be repaid by borrowers. that bears interest at 10%, payable annually. Robert died on Dec. 31, 2005, the day before the $40,000 annual interest payment was due. The $40,000 of interest accrued but not paid at Robert's death is IRD. Wanda inherits Robert's Rib stock, and for the year ended Dec. 31, 2006, Rib passes through $20,000 ($40,000 x 50%) of interest income received on the note to her. Robert's estate paid $7,000 additional estate tax because the $20,000 accrued interest Accrued Interest The interest that has accumulated on a bond since the last interest payment up to but not including the settlement date. There are two methods for calculating accrued interest: 1) 360-day year method, used for corporate and municipal bonds. was included on his estate tax return. Wanda reports the $20,000 as interest income on her Form 1040 and deducts the $7,000 on Schedule A under "Other Miscellaneous Deductions" (not subject to the 2%-of-AGI limit). Basis The stepped-up basis in S stock acquired from a decedent is reduced to the extent the stock's value is attributable to items consisting of IRD, under Sec. 1367(b)(4).The accumulated adjustments account is also reduced by the IRD items. Planning tip: Sec. 1367(b)(4)(B) states that the basis of inherited S stock is reduced by "the portion of the value of the stock which is attributable to items constituting income in respect of the decedent" This does not necessarily mean that basis is reduced dollar-for-dollar by IRD if it can be established that the presence of IRD does not increase the stock's overall value, dollar-for-dollar. Thus, the stock's value should be determined twice--once with the IRD items included in the calculation and once with the IRD items exclude & The difference between the two calculations yields the portion of the value of the stock attributable to IRD items. This case study has been adapted from PPC's Tax Planning Tax planning Devising strategies throughout the year in order to minimize tax liability, for example, by choosing a tax filing status that is most beneficial to the taxpayer. Guide--S Corporations, 20th Edition, by Andrew R. Biebl, Gregory B. McKeen, George M. Carefoot, James A. Keller and Diana L. Stephens, published by Practitioners Publishing company, Ft. Worth, TX, 2006 ((800) 323-8724; ppc.thomson.com). Editor: Albert B. Ellentuck, Esq. Of Counsel King & Nordlinger, L.L.P. Arlington, VA |
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