Printer Friendly
The Free Library
19,585,946 articles and books
Member login
User name  
Password 
 
Join us Forgot password?

Allocating gain in an FLP.


A family limited partnership (FLP FLP Family Limited Partnership
FLP Follow Up
FLP Fiji Labor Party
FLP Flashpoint
FLP Fast Link Pulse
FLP Flameproof
FLP Flippase (genetics)
FLP Front de Libération de la Palestine
FLP Fasting Lipid Profile
) is a mechanism used to achieve significant gift and estate tax savings through the transfer of assets The conveyance of something of value from one person, place, or situation to another.

The law recognizes that persons are generally entitled to transfer their assets to whomever they wish and for whatever reason. The most common means of transfer are wills, trusts, and gifts.
 to family members, by taking advantage of rules permitting reduced valuation of the amount transferred. A donor (typically, a wealthy taxpayer) and one other member (such as a spouse) who wish to transfer assets to younger family members, create an FLP under the limited partnership laws of a particular state. After formation, the donor and the other partner transfer assets to the FLP in exchange for general and limited partnership interests. The donor then makes annual gifts of limited partnership interests to family members, maximizing the gift tax exclusion.

The FLP is increasingly popular, for several reasons. The general partner retains control over the FLP, regardless of the limited partner interests given away. In addition, there may be a discount on the underlying assets for

estate tax purposes. This discount is generally due to the limited partners' lack of control over the partnership and the resulting lack of marketability of those limited partnership interests.

Typically, an FLP is funded with a portfolio of marketable securities Marketable Securities

Very liquid securities that can be converted into cash quickly at a reasonable price.

Notes:
Marketable securities are very liquid as they tend to have maturities less than one year, and the rate at which these securities can be bought or sold has
 or real property with a fair market value (FMV FMV - full-motion video ) in excess of the donor's basis. In most cases, no gain or loss is recognized on the contribution of appreciated securities to the FLP, under Sec. 721(a). However, the contribution of appreciated securities to a partnership creates built-in gain; conversely, the contribution of depreciated Depreciated may refer to:
  • Depreciation, in finance, a reference to the fact that assets with finite lives lose value over time
  • Depreciated is often confused or used as a stand-in for "deprecated"; see deprecation for the use of depreciation in computer software
 securities creates a built-in loss. The built-in gain or loss is the difference between the contributed asset's FMV at the time of contribution and its tax basis in the hands of the contributing partner. Under Sec. 704(c), when an FLP disposes of contributed property, the contributing partner recognizes the built-in gain. Property is subject to Sec. 704(c) if it is contributed to a partnership in exchange for a partnership interest in a contribution governed by Sec. 721, if, at the time of contribution, there was a built-in gain or loss.

When contributed assets are disposed of, the donor has already transferred some or all of the partnership interest received in exchange for the appreciated securities through the annual gifting of limited partnership interests to family members. If the contributing partner transfers a portion of the partnership interest, Regs. Sec. 1.704-3(a)(7) requires that the share of built-in gain or loss proportionate to the interest transferred be allocated to the transferred partnership interest.

By carefully selecting the assets contributed to an FLP and timing the transfer of partnership interests with the disposition of contributed assets, a donor can transfer the built-in gain on appreciated securities to family members, while retaining control over the subsequent investment of the proceeds from the disposition of the contributed assets.

While the same income tax consequences could be obtained by making direct gifts to the donees, an FLP provides a mechanism for obtaining valuation discounts for gift and estate tax purposes on transfers to family members, and allows the donor to retain control over the investment and distribution of the FLP's assets.

FROM BRIAN PIANUCCI, CPA (Computer Press Association, Landing, NJ) An earlier membership organization founded in 1983 that promoted excellence in computer journalism. Its annual awards honored outstanding examples in print, broadcast and electronic media. The CPA disbanded in 2000. , AND SARAH Sarah or Sarai: see Sara.
Sarah

(flourished early 2nd millennium BC) In the Hebrew scriptures, the wife of Abraham and mother of Isaac. She was childless until age 90.
 G. AVERY, CPA, EHRENKRANTZ STERLING & CO., LLC (Logical Link Control) See "LANs" under data link protocol.

LLC - Logical Link Control
, LIVINGSTON, NJ

Philip E. Moore, CPA, MBA MBA
abbr.
Master of Business Administration

Noun 1. MBA - a master's degree in business
Master in Business, Master in Business Administration
 Brown, Dakes & Wannall, P.C. DFK DFK Direct Free Kick (Soccer)
DFK Deep French Kiss
DFK Daifuku
DFK Dark Forces Knights
 International Fairfax, VA
COPYRIGHT 2000 American Institute of CPA's
No portion of this article can be reproduced without the express written permission from the copyright holder.
Copyright 2000, Gale Group. All rights reserved. Gale Group is a Thomson Corporation Company.

 Reader Opinion

Title:

Comment:



 

Article Details
Printer friendly Cite/link Email Feedback
Title Annotation:family limited partnership
Author:Moore, Philip E.
Publication:The Tax Adviser
Geographic Code:1USA
Date:Oct 1, 2000
Words:540
Previous Article:Targeted jobs tax credit settlement offer.
Next Article:State law disclaimers: always effective for federal tax purposes?
Topics:



Related Articles
Family limited partnerships.
Family limited partnerships and charitable deductions.
When is a family limited partnership an appropriate tax savings vehicle?
Preferential aspects of FLPs.
Beware of FLP traps.
IRS allows married taxpayers to "rearrange ownership" of stock.
GST planning opportunities.
A FLP tax-saving strategy.
IRS's current position on FLPs.
Practically IRS proof: preserving the tax benefits of family limited partnerships. (Planning).

Terms of use | Copyright © 2012 Farlex, Inc. | Feedback | For webmasters | Submit articles