Managing portfolio gains and losses in mutual fund redemptions.EXECUTIVE SUMMARY * The IRS An abbreviation for the Internal Revenue Service, a federal agency charged with the responsibility of administering and enforcing internal revenue laws. permits taxpayers to choose among four basis determination methods in computing computing - computer gain or loss on mutual fund share disposition Act of disposing; transferring to the care or possession of another. The parting with, alienation of, or giving up of property. The final settlement of a matter and, with reference to decisions announced by a court, a judge's ruling is commonly referred to as disposition, regardless of . * The single- and double-category average methods were created to allow taxpayers to use an IRS-approved average method. * While the IRS does not allow LIFO (Last In-First Out) A queueing method in which the next item to be retrieved is the item most recently placed in the queue. Contrast with FIFO. LIFO - stack to be used for securities transactions, the effects of LIFO can be approximated by use of the double-category method. There are four ways to compute To perform mathematical operations or general computer processing. For an explanation of "The 3 C's," or how the computer processes data, see computer. basis when selling mutual fund shares. The choice of method can affect the tax ultimately paid. This article explains the methods and their use when fund share prices are rising or falling, and examines special rules that may also affect gain or loss. This article discusses the 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. aspects encountered when selling a mutual fund investment. The IRS permits taxpayers to choose among alternative basis determination methods to reflect the sale. To ensure that the tax paid by the taxpayer will be minimized min·i·mize tr.v. min·i·mized, min·i·miz·ing, min·i·miz·es 1. a. To reduce to the smallest possible amount, extent, size, or degree. b. Usage Problem To reduce. See Usage Note at minimal. , judicious ju·di·cious adj. Having or exhibiting sound judgment; prudent. [From French judicieux, from Latin i , purposeful pur·pose·ful adj. 1. Having a purpose; intentional: a purposeful musician. 2. Having or manifesting purpose; determined: entered the room with a purposeful look. planning is essential. Overview Mutual funds, referred to by Sec. 851 as regulated investment companies Regulated investment company An investment company allowed to pass capital gains, dividends, and interest earned on fund investments directly to its shareholders so that it is taxed only at the personal level, and double taxation is avoided. , have become an extremely popular investment vehicle in the last two decades. Instead of investing in individual securities, many taxpayers are purchasing shares in a variety of mutual funds, which offer risk diversification Diversification A risk management technique that mixes a wide variety of investments within a portfolio. It is designed to minimize the impact of any one security on overall portfolio performance. Notes: Diversification is possibly the greatest way to reduce the risk. , professional investment management and ready liquidity. Because mutual funds are capital assets capital assets n. equipment, property, and funds owned by a business. (See: capital, capital account) , redemptions (i.e., sales) of shares create capital gains or losses capital gains or losses n. particularly when calculating the tax liability of an individual or business, this is the difference between the original cost plus the cost of capital improvements, excluding maintenance, called "basis" and the sales price. . The IRS permits taxpayers to choose among four alternative basis determination methods in computing the gain or loss on disposition. When a partial disposition occurs, the method selected can affect the gain or loss recognized. While the total net gain or loss remains the same, the nature and character may differ, depending on the tax method used. This article generally discusses the four methods, then applies three of them to examples. The first two examples involve partial and total fund liquidations when share prices are generally rising; the latter two examples address such liquidations when share prices are generally falling. Basis Valuation Methods Mutual funds are vehicles in which to invest in capital assets. Taxpayers generally are aware of the importance of maintaining records on capital asset (e.g., stock and debt) purchases until the underlying security is sold; they may not realize that similar records must be maintained for mutual fund investments. In particular, if reinvestments (e.g., dividends and capital gain distributions) are made in the fund, cost records of the shares acquired must be maintained to determine gain or loss accurately. As tax advisers know, this issue often creates a burden for taxpayers, because they must retain detailed records to support computations. The problem is aggravated ag·gra·vate tr.v. ag·gra·vat·ed, ag·gra·vat·ing, ag·gra·vates 1. To make worse or more troublesome. 2. To rouse to exasperation or anger; provoke. See Synonyms at annoy. if a taxpayer unknowingly treats a mutual fund as a money market fund and makes frequent withdrawals. Because reinvestments lead to purchases at different times and in different amounts, sales of shares from a mutual fund investment can create complex computations. By carefully selecting the method to use, a taxpayer can effectively specify the category from which particular shares are deemed removed at the time of sale. Advance planning can reduce the immediate tax burden significantly. The IRS permits any of four methods to be used in determining the basis of a mutual fund investment. Two are cost measures; the other two are average measures. Each is described below. Cost Methods The two cost basis methods--specific identification and first-in, first-out first-in, first-out n. A method of inventory accounting in which the oldest remaining items are assumed to have been the first sold. In a period of rising prices, this method yields a higher ending inventory, a lower cost of goods sold, a higher gross (FIFO (First In First Out) A storage method that retrieves the item stored for the longest time. Contrast with LIFO. See traffic engineering methods. FIFO - first-in first-out )--have rules similar to generally accepted accounting principles The standard accounting rules, regulations, and procedures used by companies in maintaining their financial records. Generally accepted accounting principles (GAAP) provide companies and accountants with a consistent set of guidelines that cover both broad accounting (GAAP GAAP See: Generally Accepted Accounting Principles GAAP See generally accepted accounting principles (GAAP). ). A key difference between the IRS methods and their accounting counterparts is that the former require the cost flow to be compatible with the physical flow; that is not a requirement in financial accounting. An advantage of using the two tax cost methods is that switching between them is allowed. Specific identification: This method is similar to the specific identification method under GAAP for inventory. Specific shares are identified as sold; the specific cost of acquiring these shares determines the cost basis. To apply this method, the shares sold have to be specified spec·i·fy tr.v. spec·i·fied, spec·i·fy·ing, spec·i·fies 1. To state explicitly or in detail: specified the amount needed. 2. To include in a specification. 3. to the broker at the time of sale or transfer. The taxpayer must receive a broker's confirmation in writing within a reasonable time, according to according to prep. 1. As stated or indicated by; on the authority of: according to historians. 2. In keeping with: according to instructions. 3. Regs. Sec. 1.1012-1(c)(3). The taxpayer then uses the actual cost basis of the specific shares to compute gain or loss. (In view of its simplicity Simplicity is the property, condition, or quality of being simple or un-combined. It often denotes beauty, purity or clarity. Simple things are usually easier to explain and understand than complicated ones. Simplicity can mean freedom from hardship, effort or confusion. and similarity Similarity is some degree of symmetry in either analogy and resemblance between two or more concepts or objects. The notion of similarity rests either on exact or approximate repetitions of patterns in the compared items. to its financial accounting counterpart counterpart n. in the law of contracts, a written paper which is one of several documents which constitute a contract, such as a written offer and a written acceptance. , this method is not illustrated in this article.) FIFO: This method deems the earliest acquired shares to be the first sold. According to Regs. Sec. 1.1012-1(c) (1), the IRS uses this method if the taxpayer does not select one of the allowed alternatives. If shares were purchased at different times or prices and the taxpayer cannot establish the specific shares sold, the actual cost basis of the shares first acquired becomes the basis of the shares sold. For tax planning purposes, in periods of rising (mutual fund share) prices, FIFO will generate a larger profit (i.e., recognized gain Recognized Gain The amount of gain reported for income tax purposes. Notes: You can defer recognizing some gains until the following year(s). See also: Capital Gain, Capital Loss, Deferred Income Tax, Drought Sale, Exempt Income, Exemption, Gain, Recognized Loss ) than any other method. Average Methods Under the single- and double-category methods, a little of each individual acquisition is deemed sold, because the costs are averaged over all shares held. Average costing Under the average-cost method, it is assumed that the cost of inventory is based on the average cost of the goods available for sale during the period. Average cost is computed by dividing the total cost of goods available for sale by the total units available for sale. methods mitigate mit·i·gate v. To moderate in force or intensity. mit i·ga tion n. the effects of
various costs, producing a smoothing effect. In times of rising share
prices, use of one of these two methods may lessen less·en v. less·ened, less·en·ing, less·ens v.tr. 1. To make less; reduce. 2. Archaic To make little of; belittle. v.intr. To become less; decrease. the tax burden. The single- and double-category average methods were created to allow taxpayers to use an IRS-approved average method. Neither of these methods is identical to GAAP's weighted-average inventory method. Regs. Sec. 1.1012-1(e)(2) provides that, once an average method is adopted, it cannot be revoked without IRS consent. The gain or loss on future redemptions may be affected by the particular method selected; the average methods can produce different results when partial dispositions occur. Accordingly, one should calculate the tax effects under each method before choosing one of them. If either of the two average methods is applied, special care should be taken in the computations. When the disposition is reported on the return, the taxpayer must specify, under Regs. Sec. 1.1012-1(e) (6), whether he used the single- or double-category method. Single-category method: Under this method, a single group includes all shares held at the time of disposition. To find the adjusted basis per share, under Regs. Sec. 1.1012-1(e)(4)(i), the total cost of the shares in the group at the time of disposition is divided by the total number of shares in the group (analogous analogous /anal·o·gous/ (ah-nal´ah-gus) resembling or similar in some respects, as in function or appearance, but not in origin or development. a·nal·o·gous adj. to the GAAP weighted-average method). The shares deemed sold are those first acquired, according to Regs. Sec. 1.1012-1(e)(4)(ii). If the IRS establishes that the single-category method has been used to convert a long-term capital gain Long-term capital gain A profit on the sale of a security or mutual fund share that has been held for more than one year. or loss to a short-term Short-term Any investments with a maturity of one year or less. short-term 1. Of or relating to a gain or loss on the value of an asset that has been held less than a specified period of time. one, or a short-term capital gain Short-term capital gain A profit on the sale of a security or mutual fund share that has been held for one year or less. A short-term capital gain is taxed as ordinary income. or loss to a long-term Long-term Three or more years. In the context of accounting, more than 1 year. long-term 1. Of or relating to a gain or loss in the value of a security that has been held over a specific length of time. Compare short-term. one, use of the method will be disallowed by Regs. Sec. 1.1012-1(e)(4)(iii). Double-category method: Under this method, all shares in the account at the time of each disposition are divided into short-term and long-term categories. Shares owned for more than one year are classified as long-term; those held for less time are short-term. According to Regs. Sec. 1.1012-1(e) (3)(i), to find the adjusted basis of each share in a category, the total adjusted basis of all shares in the category at the time of disposition is divided by the total shares in the category at that time. Each category's adjusted basis is separately maintained. A taxpayer may identify the category from which the shares to be sold or transferred originate o·rig·i·nate v. 1. To bring into being; create. 2. To come into being; start. ; the determination must be confirmed in writing by the share agent or custodian bailee (custodian) n. a person with whom some article is left, usually pursuant to a contract (called a "contract of bailment"), who is responsible for the safe return of the article to the owner when the contract is fulfilled. . A taxpayer who does not identify the specific shares sold is required to use FIFO in charging the shares sold to a category, according to Kegs. Sec. 1.1012-1(e)(3)(ii). Regs. Sec. 1.1012-1(e)(3)(iii)(a) provides that newly acquired shares (e.g., from reinvestment Reinvestment Using dividends, interest and capital gains earned in an investment or mutual fund to purchase additional shares or units, rather than receiving the distributions in cash. 1. In terms of stocks, it is the reinvestment of dividends to purchase additional shares. ) are added to the short-term category at actual cost. If dispositions are made from the short-term category, the adjusted basis of the disposed dis·pose v. dis·posed, dis·pos·ing, dis·pos·es v.tr. 1. To place or set in a particular order; arrange. 2. of shares is found using the computational Having to do with calculations. Something that is "highly computational" requires a large number of calculations. rule described above. Undisposed un·dis·posed adj. 1. Not settled, removed, or resolved: undisposed assets. 2. Disinclined; unwilling: undisposed to help us. of shares transferred to the long-term category after, the one-year adj. 1. completing its life cycle within a year. Adj. 1. one-year - completing its life cycle within a year; "a border of annual flowering plants" annual phytology, botany - the branch of biology that studies plants holding period is met take the average cost of the disposed of shares as their adjusted basis. Regs. Sec. 1.1012-1(e) (3)(iii)(b) provides that, after the transfer, a new weighted-average cost per share for the long-term category must be computed; there are no multiple layers. While the IRS does not allow last-in, first-out last-in, first-out n. A method of inventory accounting in which the most recently acquired items are assumed to have been the first sold. In a period of rising prices, this method yields a lower ending inventory, a higher cost of goods sold, a lower (LIFO) to be used for securities transactions, the effects of LIFO can be approximated by use of the double-category method. Contrary to LIFO, however, there are only two layers in the double-category method. The adjusted basis (as well as the adjusted basis per share of the long-term category) changes each time a transfer of this nature occurs. Each calculation results in the creation of both a long-term and a short-term pool. Rising Prices Partial Redemption Partial Redemption An investment-transaction classification that refers to the withdrawal of a portion of a security's value by the owner. Rather than withdrawing the entire amount of his or her security's value from the account, an investor may prefer to keep a portion of the Using the data shown in Exhibit 1 at right, assume a $3,000 liquidation The collection of assets belonging to a debtor to be applied to the discharge of his or her outstanding debts. A type of proceeding pursuant to federal Bankruptcy on Feb. 4, 2000, at $34 per share, a liquidation of 88.235 shares ($3,000/$34). The following discussion illustrates how basis and gain change depending on the basis computation Computation is a general term for any type of information processing that can be represented mathematically. This includes phenomena ranging from simple calculations to human thinking. method used. Exhibit 1: Rising Prices Below are data showing by date the original investment, reinvested dividends and capital gains, number of shares acquired, cost per share and cumulative dollar and share amounts.
Cumulative
Date Description Amount amount Shares
9/17/95 OI $2,000.00 $2,000.00 80.000
12/29/95 OD 41.54 2,041.54 1.585
12/29/95 CGD 47.08 2,088.62 1.796
6/28/96 OD 51.22 2,139.84 1.872
12/28/96 OD 106.69 2,246.53 3.880
12/28/96 CGD 92.27 2,338.80 3.355
6/28/97 OD 53.86 2,392.66 1.813
12/27/97 OD 199.61 2,592.27 6.605
12/27/97 CGD 175.42 2,767.69 5.805
6/27/98 OD 58.63 2,826.32 1.875
12/27/98 OD 213.65 3,039.97 6.632
12/27/98 CGD 185.20 3,225.17 5.750
6/25/99 OD 64.40 3,289.57 1.912
12/27/99 OD 184.56 3,474.13 5.555
12/27/99 CGD 203.95 3,678.08 6.139
Totals $3,678.08 134.574
Cumulative
Date Cost per share shares
9/17/95 $25.00 80.000
12/29/95 26.21 81.585
12/29/95 26.21 83.381
6/28/96 27.36 85.253
12/28/96 27.50 89.133
12/28/96 27.50 92.488
6/28/97 29.71 94.301
12/27/97 30.22 100.906
12/27/97 30.22 106.711
6/27/98 31.27 108.586
12/27/98 32.21 115.218
12/27/98 32.21 120.968
6/25/99 33.68 122.880
12/27/99 33.22 128.435
12/27/99 33.22 134.574
Totals OI = Original investment OD = Ordinary dividend CGD CGD Chronic granulomatous disease, see there = Capital gain distribution FIFO: Under FIFO, the adjusted basis is determined by measuring the actual cost of the first 88.235 shares acquired; the earliest shares acquired are deemed sold. Through June June: see month. 28, 1996, the taxpayer had acquired 85.253 shares. The dividend reinvested on Dec. 28, 1996 put the total number of shares owned above the 88.235 sold; only 2.982 shares of that reinvestment (88.235 - 85.253) are thus considered sold. The adjusted basis of the 88.235 shares redeemed re·deem tr.v. re·deemed, re·deem·ing, re·deems 1. To recover ownership of by paying a specified sum. 2. To pay off (a promissory note, for example). 3. is determined as follows: Cost of 85.253 shares purchased and reinvested through June 28,1996 $2,139.84 Cost of 2.982 shares obtained through reinvestment on Dec. 28,1996 (2.982 X $27.50/share) 82.01 Cost of first 88.235 shares $2,221.85 The capital gain is computed as follows: Proceeds (88.235 x $34) $3,000.00 Adjusted basis 2,221.85 Capital gain 778.15 Because the first 88.235 shares were acquired more than one year before the sale, the entire capital gain is long-term. Single-category method: In the single-category method, all shares held at the date of disposition are included in a single group. The adjusted basis per share is $27.33 ($3,678.08/134.574 shares). Proceeds $3,000.00 Adjusted basis (88.235 x $27.33) 2,411.46 Capital gain $ 588.54 The single-category method forces a taxpayer to determine holding period on a FIFO basis. Accordingly, the entire gain is long-term, but less than the gain reported Under FIFO. Double-category method: Because all shares in the account at the time of disposition are divided into short-term and long-term holding periods under this method, the shares acquired Feb. 4, 1999 and thereafter must be assigned as·sign tr.v. as·signed, as·sign·ing, as·signs 1. To set apart for a particular purpose; designate: assigned a day for the inspection. 2. a short-term adjusted basis per share. This basis per share is $33.29 ($452.91/13.606 shares). The adjusted basis per share for shares held more than one year is $26.66 ($3,225.17/120.968 shares). Under this method, there are two bases, one for each category. The taxpayer may elect to treat the disposition as coming first from the short-term category or the long-term category. If the taxpayer does not specify, the shares redeemed are assumed to be from the long-term category, under Regs. Sec. 1.1012-1(e)(3)(ii). Assume the taxpayer elects to treat the sale of the 88.235 shares as originating from the most recent purchases, a LIFO physical flow. Thus, to a limited extent, the double-category method can be used to approximate ap·prox·i·mate v. To bring together, as cut edges of tissue. adj. 1. Relating to the contact surfaces, either proximal or distal, of two adjacent teeth; proximate. 2. Close together. the LIFO method. All the shares acquired in the most recent 12 months are deemed sold. Proceeds from sale of short-term shares (13.606 x $34) $462.60 Adjusted basis (13.606 x $33.29) 452.94 Short-term capital gain $ 9.66 The balance of the sale, 74.629 shares (88.235 - 13.606), is treated as long-term: Proceeds (74.629 x $34) $2,537.39 Adjusted basis (74.629 x $26.66) 1,989.61 Long-term capital gain $ 547.78 Under the double-category method, electing to sell the short-term shares first, the taxpayer creates a $9.66 short-term capital gain and a $547.78 long-term capital gain. If the taxpayer elects to have the disposition treated as though it originated from the long-term category, all the redeemed shares would come from this category. The recognized long-term capital gain is: Proceeds $3,000.00 Adjusted basis (88.235 x $26.66) 2,352.35 Long-term capital gain $ 647.65 Summary: A striking feature of the foregoing results is that while each of the methods produces a capital gain, the amount and nature of the gain differ completely from method to method. In this example, using the double-category method and electing to sell from the short-term category first produced the lowest income (and presumably pre·sum·a·ble adj. That can be presumed or taken for granted; reasonable as a supposition: presumable causes of the disaster. , the least tax). The $557.44 combined overall net gain is the least of any of the three methods. Exhibit 2 below summarizes these results. Exhibit 2: Partial disposition, rising prices Method Long-term gain Short-term gain Total gain FIFO $778.15 -0- $778.15 Single category $588.54 -0- $588.54 Double category, short-term first $547.78 $9.66 $557.44 Double category, long-term first $647.65 -0- $647.65 Total Redemption The liberation of an estate in real property from a mortgage. Redemption is the process by which land that has been mortgaged or pledged is bought back or reclaimed. It is accomplished through a payment of the debt owed or a fulfillment of the other conditions. Now assume all 134.574 shares are redeemed for $4,575.52; the adjusted basis of the investment is the same in all cases, $3,678.08. Hence, the overall recognized gain is approximately ap·prox·i·mate adj. 1. Almost exact or correct: the approximate time of the accident. 2. $898. However, as shown below, depending on the method used, the character of the gain differs. FIFO: Under the above discussion of the double-category method, during the preceding 12 months, 13.606 shares were acquired for $452.91. Redemption of these shares generates a short-term gain Short-term gain (or loss) A profit or loss realized from the sale of securities held for less than a year that is taxed at normal income tax rates if the net total is positive. ; sale of the remaining shares produces a long-term gain Long-term gain A profit on the sale of a capital assets held longer than 12 months, and eligible for long-term capital gains tax treatment. . Proceeds from sale of short-term shares (13.606 x $34) $462.60 Adjusted basis 452.91 Short-term capital gain $ 9.69 The disposition of the remaining 120.968 shares is treated as long-term: Proceeds from sale of long-term shares (120.968 x $34) $4,112.91 Adjusted basis ($3,678.08 - $452.91) 3,225.17 Long-term capital gain $ 887.74 Single-category method: As was previously discussed, the adjusted basis per share under the single-category method is $27.33; thus, the short-term shares sold produce the following capital gain: Proceeds (13.606 x $34) $462.60 Adjusted basis (13.606 x $27.33) 371.85 Short-term capital gain $ 90.75 The long-term shares yield the following results: Proceeds (120.968 x $34) $4,112.91 Adjusted basis (120.968 x $27.33) 3,306.06 Long-term capital gain $ 806.85 Double-category method: The results under this method are identical to FIFO. As was discussed, the adjusted basis per share of shares held one year or less is $33.29; shares held more than one year have an adjusted basis of $26.66 each. Accordingly, the gain computations are as follows: Short-term: Proceeds (13.606 x $34) $ 462.60 Adjusted basis (13.606 x $33.29 452.94 Short-term capital gain $ 9.66 Long-term: Proceeds (120.968 x $34) $4,112.91 Adjusted basis (120.968 x $26.66) 3,225.01 Long-term capital gain $ 887.90 Summary: Exhibit 3 above summarizes the results of using the various basis determination methods in a complete liquidation. Even in a complete liquidation, different results can be obtained depending on the method employed. While differences among the methods appear modest, this is in part due to the data, which does not use large numbers. However, the selection of methods affects the nature of the gain, which can have real tax effects, because long-term gains are generally taxed more favorably fa·vor·a·ble adj. 1. Advantageous; helpful: favorable winds. 2. Encouraging; propitious: a favorable diagnosis. 3. than short-term gains. Exhibit 3: Complete disposition, rising prices Method Short-term gain Long-term gain FIFO $9.69 $887.74 Single category $90.75 $806.85 Double category $9.66 $887.90 Falling Prices Partial Redemption Using the data in Exhibit 4 at right, assume a $3,000 liquidation on Feb. 4, 2000, at $27.50 per share; this is a liquidation of 109.091 shares ($3,000/$27.50). This discussion reveals the effects of falling prices on the gain/loss computations and addresses several important rules. Exhibit 4: Falling Prices Below are data showing by date the original investment, reinvested dividends and capital gains, number of shares acquired, cost per share and cumulative dollar and share amounts.
Cumulative
Date Description Amount amount Shares
9/17/95 OI $2,000.00 $2,000.00 62.500
12/29/95 OD 55.58 2,055.58 1.756
12/29/95 CGD 59.25 2,114.83 1.872
6/28/96 OD 72.24 2,187.07 2.327
12/28/96 OD 138.22 2,325.29 4.640
12/28/96 CGD 121.18 2,446.47 4.068
6/28/97 OD 93.52 2,539.99 3.155
12/27/97 OD 199.61 2,739.60 6.831
12/27/97 CGD 175.42 2,915.02 6.004
6/27/98 OD 79.24 2,994.26 2.720
12/27/98 OD 213.65 3,207.91 7.348
12/27/98 CGD 193.27 3,401.18 6.647
6/25/99 OD 64.40 3,465.58 2.296
12/27/99 OD 171.69 3,637.27 6.165
12/27/99 CGD 20.81 3,658.08 0.747
Totals $3,658.08 119.076
Cumulative
Date Cost per share shares
9/17/95 $32.00 62.500
12/29/95 31.65 64.256
12/29/95 31.65 66.128
6/28/96 31.04 68.455
12/28/96 29.79 73.095
12/28/96 29.79 77.163
6/28/97 29.64 80.318
12/27/97 29.22 87.149
12/27/97 29.22 93.153
6/27/98 29.13 95.873
12/27/98 29.08 103.221
12/27/98 29.08 109.868
6/25/99 28.05 112.164
12/27/99 27.85 118.329
12/27/99 27.85 119.076
Totals OI = Original investment OD = Ordinary dividend CGD = Capital gain distribution FIFO: The adjusted basis is determined by measuring the actual cost of the first 109.091 shares acquired. The capital gain distribution reinvested on Dec. 27, 1998 put the total number of shares owned over the 109.091 sold; thus, only 5.87 shares of that reinvestment (109.091 - 103.221) need to be considered. The adjusted basis of the 109.091 shares redeemed is determined as follows: Cost of 103.221 shares purchased and reinvested through Dec. 27,1998 $3,207.91 Cost of 5.87 shares obtained through reinvestment on Dec. 27,1998 (5.87 x $29.08/share) 170.70 Cost of first 109.091 shares obtained $3,378.61 The capital loss is computed as follows: Proceeds (109.091 x $27.50) $3,000.00 Adjusted basis 3,378.61 Capital loss $ (378.61) Because the 109.091 shares were all acquired more than one year before the sale, the entire capital loss is long-term. Single-category method: Under this method, each share is assigned an adjusted basis of $30.72 ($3,658.08/119.076 shares). The capital loss is computed as follows: Proceeds $3,000.00 Adjusted basis (109.091 x $30.72) 3,351.28 Capital loss $ (351.28) Because the shares sold must be determined on a FIFO basis under this method, and the number of shares sold does not exceed the number acquired more than one year before the sale, the entire loss is long-term. The loss reported under the single-category method is less than the loss under the FIFO method. Double-category method: Those shares in the older category (i.e., acquired more than one year before the redemption) are assigned an adjusted basis of $30.957 per share ($3,401.18/109.868 shares). The short-term shares each carry an adjusted basis of $27.90 ($256.90/9.208 shares). Under the double-category method, the taxpayer must select a category from which the redemption stems. The effect of each selection is examined below. * Oldest category first: Under this assumption, the capital loss is computed as follows: Proceeds $3,000.00 Adjusted basis (109.091 x $30.957) 3,377.13 Capital loss $ (377.13) Because the redemption of 109.091 shares did not use up all of the 109.868 shares in the long-term category, the entire loss is long-term. * Newest category first: There are only 9.208 shares in this category; because 109.091 shares are redeemed, the entire short-term portfolio is deemed liquidated DAMAGES, LIQUIDATED, contracts. When the parties to a contract stipulate for the payment of a certain sum, as a satisfaction fixed and agreed upon by them, for the not doing of certain things particularly mentioned in the agreement, the sum so fixed upon is called liquidated damages. (q.v. . The capital loss is computed as follows: Proceeds (9.208 x $27.50) $253.22 Adjusted basis (9.208 x $27.90) 256.90 Capital loss $ (3.68) The remaining 99.883 (109.091 - 9.208) shares redeemed produce the following result: Proceeds (99.883 x $27.50) $2,746.78 Adjusted basis (99.883 x $30.957) 3,092.08 Capital loss $ (345.30) The deductibility and character of the loss are affected by the items discussed below. Special Rules Capital Gain Distributions on Short-Term Shares A special rule applies under Sec. 852(b) (4) when a taxpayer receives an undistributed Adj. 1. undistributed - (of investments) not distributed among a variety of securities undiversified - not diversified capital gain or a capital gain distribution on shares held six months or less and sold at a loss. Only the part of the loss greater than the capital gain distribution is a short-term capital loss; the amount of the loss up to the amount received as a capital gain distribution is treated as long-term. Thus, the amount of the loss that can be used to offset ordinary income is limited. Because capital gain distributions from a fund are treated as long-term under Sec. 852(b)(3)(B), the limit effectively converts such long-term gains to short-term ones, by requiring them to absorb absorb To offset sell orders or a new security offering with buy orders. the converted short-term capital loss (thus reducing the short-term loss). Because the taxpayer generated a loss on his short-term holdings of $3.68, but received a capital gain distribution of $20.81 on Dec. 27, 1999, all of his $3.68 capital loss is treated as long-term. Thus, the taxpayer has a recognized $348.98 long-term capital loss ($345.30 + $3.68). Wash Sales Sec. 1091 applies to any exchange of securities, including mutual funds. A wash sale is defined as the sale of securities at a loss within 30 days before or after the purchase of substantially identical securities. The wash sale rule prevents a taxpayer from reaping the benefit of a deductible That which may be taken away or subtracted. In taxation, an item that may be subtracted from gross income or adjusted gross income in determining taxable income (e.g., interest expenses, charitable contributions, certain taxes). loss and altering the basis and holding period of his investment, while not really changing his portfolio. Sec. 1091 disallows a loss if, within the period beginning 30 days before the disposition of the shares and ending 30 days thereafter, the taxpayer acquires shares in a substantially identical mutual fund. Any disallowed loss is added to the basis of the newly acquired shares. The Code does not define "substantially identical" securities. In all probability prob·a·bil·i·ty n. pl. prob·a·bil·i·ties 1. The quality or condition of being probable; likelihood. 2. A probable situation, condition, or event: Her election is a clear probability. , only a repurchase re·pur·chase tr.v. re·pur·chased, re·pur·chas·ing, re·pur·chas·es To buy (something) again. n. The act of buying something that one previously sold or owned. Noun 1. of the same mutual fund would be considered substantially identical. The wash sale rule must be considered when mutual fund dividends are reinvested and a portion of the fund is thereafter redeemed. Reinvested dividends create an acquisition of a substantially identical security. If the portion of the fund sold generates a loss, any loss attributable attributable emanating from or pertaining to attribute. attributable proportion see attributable risk (below). attributable risk to shares acquired 30 days before or after the sale will be disallowed.(1) The above example has avoided the wash sale issue by making the redemption more than 30 days after the most recent reinvestment. Tax professionals must inquire in·quire also en·quire v. in·quired, in·quir·ing, in·quires v.intr. 1. To seek information by asking a question: inquired about prices. 2. of clients whether subsequent purchases (or reinvestments) were made within 30 days of the sale. Exhibit 5 on p. 240 summarizes the results of the partial redemption when prices are falling. Each of the four allowable methods results in a different long-term capital loss. Assuming that the newest shares were sold first, the double-category method was also affected by the fact that there was a capital gain distribution within the preceding six months. Had it not occurred, part of the loss would have been treated as short-term. None of the other available methods would, have produced any short-term amounts. While the differences reported here are small, tax planning should involve "running the numbers" to see which method offers the optimal result. Exhibit 5: Partial disposition, falling prices Method Long-term loss FIFO $378.61 Single category $351.28 Double category, long-term first $377.13 Double category, short-term first $348.98 Total Redemption Again using the data in Exhibit 4, assume all 119.076 shares are redeemed for $3,274.59. The adjusted basis of the redeemed shares is $3,658.08; the loss is $383.49. However, depending on the method used, the character of the loss differs. FIFO: The 9.208 shares acquired in 1999 produce a short-term result; the remainder produce a long-term result. The short-term portion is determined as follows: Proceeds (9.208 x $27.50) $253.22 Cost basis 256.90 Capital loss $ (3.68) Sec. 852(b)(4) applies; the loss is less than the capital gain distribution received within the last six months, and thus, is long-term. The remaining loss, derived de·rive v. de·rived, de·riv·ing, de·rives v.tr. 1. To obtain or receive from a source. 2. from the 109.868 shares (119.076 - 9.208) held more than one year, is calculated as follows: Proceeds (109.868 x $27.50) $3,021.37 Cost basis 3,401.18 Capital loss $ (379.81) After converting the $3.68 short-term loss to long-term, the recognized long-term capital loss is $383.49 ($3.68 + $379.81). Single-category method: As was discussed, the average cost per share under this method is $30.72. For reporting purposes, the 9.208 shares acquired in the previous 12 months produce a short-term result, subject to the Sec. 852(b)(4) exception. Proceeds (9.208 x $27.50) $253.22 Adjusted basis (9.208 x $30.72) 282.87 Capital loss $ (29.65) This capital loss exceeds the $20.81 capital gain distribution received on Dec. 27, 1999. Accordingly, the excess, $8.84, is treated as a short-term capital loss; the remainder, $20.81, is long-term. The other shares sold produce a long-term capital loss, as follows. Proceeds (109.868 x $27.50) $3,021.37 Adjusted basis (109.868 x $30.72) 3,375.14 Capital loss $ (353.77) The result is an $8.84 short-term capital loss and a $374.58 long-term capital loss; the total loss is $383.42. Double-category method: Under this method, the results are identical to those when the FIFO method is used. As was discussed, shares in the older category are assigned an adjusted basis per share of $30.957; the short-term category shares have a basis of $27.90 each. Because all shares are sold, the taxpayer does not have the option of selecting one of the two categories from which to make the redemption. Nonetheless, the two categories must be maintained to distinguish between short- and long-term holdings. There were 9.208 shares acquired in the last 12 months; the capital loss related to this category is computed as follows: Proceeds (9.208 x $27.50) $253.22 Adjusted basis (9.208 x $27.90) 256.90 Capital loss $ (3.68) Sec. 852(b)(4) mandates mandates, system of trusteeships established by Article 22 of the Covenant of the League of Nations for the administration of former Turkish territories and of former German colonies. that this loss be treated as long-term. The remaining 109.868 shares held more than one year produce the following result: Proceeds (109.868 x $27.50) $3,021.37 Adjusted basis (109.868 x $30.957) 3,401.18 Capital loss $ (379.81) The total loss is $383.49. Exhibit 6 below summarizes the results. While the total loss is approximately the same in each case, using the single-category method allows the taxpayer to generate a short-term capital loss that can be used to offset income that could otherwise be taxed at the maximum marginal (jargon) marginal - 1. Extremely small. "A marginal increase in core can decrease GC time drastically." In everyday terms, this means that it is a lot easier to clean off your desk if you have a spare place to put some of the junk while you sort through it. 2. rate. Exhibit 6: Complete disposition, falling prices Method Long-term loss Short-term loss FIFO $383.49 -0- Single category $374.58 $8.84 Double category $383.49 -0- Conclusion This article has discussed the allowable methods for determining the adjusted basis of an investment in a mutual fund and illustrated the effects of selecting one method over another. When a partial disposition occurs, different amounts and characterizations (short- or long-term) result, depending on the method selected. When a complete disposition occurs, the overall gain or loss is the same under all three methods. However, the single-category method produces a different categorization of the resulting capital gain or loss than does the FIFO or double-category method. The examples presented above reflect typical results when redemptions occur during periods of rising or falling prices, and can be used by tax advisers as a general guide to potential outcomes when sales occur. Because actual mutual fund prices will usually vary over time, computations of the adjusted basis in redemption situations should be carefully considered under each method to determine current and future tax consequences. (1) In determining adjusted basis, special care should be taken when a wash sale occurs and mutual fund basis has been calculated using an average method; see Regs. Sec. 1.1012-1(e)(3)(iii)(c) and (d). Gerald P. Weinstein, Ph.D., CPA Associate Professor Department of Accountancy John Carroll University University Heights, OH Robert Bloom, Ph.D. Professor Department of Accountancy John Carroll University University Heights, OH |
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