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No deductions for repurchase premiums.


When a subsidiary issues debentures that can be exchanged for the parent company's stock, and the stock has appreciated above the conversion price, the parent company will issue shares with a value exceeding the principal amount of the debentures. When the parent surrenders this debt back to the subsidiary in exchange for the principal amount, it used to be able to claim a capital loss for the value of the stock that exceeds the principal amount.

In Reynolds Metals Reynolds Metals Company (RMC) was the second largest aluminum company in the United States, and the third largest in the world. The company became well-known for the consumer product Reynolds Wrap as well as being a leader in developing and promoting new uses for aluminum;  v. the Commissioner, the Tax Court concluded that a capital loss was not sustained in this type of exchange. Instead, the parent company's basis in the converted debentures is limited to the debentures' principal amount, and the excess of the value of the stock issued over this principal amount can be attributed to the conversion feature of the debentures. Accordingly, the excess of the fair value of the stock issued over the debentures' principal amount is a nondeductible non·de·duct·i·ble  
adj.
Not deductible, especially for income-tax purposes.

Adj. 1. nondeductible - not allowable as a deduction
deductible - acceptable as a deduction (especially as a tax deduction)
 capital contribution and not a capital loss.

Observation: Reynolds had a compelling argument. Nevertheless, the court's decision was not in its favor principally because a finding for Reynolds would have allowed taxpayers to circumvent the prohibition in Internal Revenue Code The Internal Revenue Code is the body of law that codifies all federal tax laws, including income, estate, gift, excise, alcohol, tobacco, and employment taxes. These laws constitute title 26 of the U.S. Code (26 U.S.C.A. § 1 et seq.  section 249 against deducting repurchase premiums attributable to the conversion feature of convertible instruments. Such premiums are deductible only if they are clearly attributable to the cost of borrowing.

--Robert Willens, 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. , managing director at Lehman Brothers Lehman Brothers Holdings Inc. (NYSE: LEH), founded in 1850, is a diversified, global financial services firm. It is a participant in investment banking, equity and fixed income sales, research and trading, investment management, private equity, and private banking. , New York City New York City: see New York, city.
New York City

City (pop., 2000: 8,008,278), southeastern New York, at the mouth of the Hudson River. The largest city in the U.S.
.
COPYRIGHT 1996 American Institute of CPA's
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Copyright 1996, Gale Group. All rights reserved. Gale Group is a Thomson Corporation Company.

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Article Details
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Author:Willens, Robert
Publication:Journal of Accountancy
Article Type:Brief Article
Date:Jan 1, 1996
Words:237
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Next Article:Small business tax solutions. (distributions of debt-burdened, appreciated property to shareholders)
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