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Wasting assets do not generate BIG under Sec. 382. (Gains & Losses).


In Technical Advice Memorandum (TAM) 200217009, the IRS An abbreviation for the Internal Revenue Service, a federal agency charged with the responsibility of administering and enforcing internal revenue laws.  ruled that income earned from a taxpayer's "existing patient base" following a Sec. 382 ownership change cannot be treated as a recognized built-in gain (RBIG) for Sec. 382(h)(6) purposes. In so holding, it rejected the taxpayer's argument that the income generated was the economic equivalent of income realized on an asset's disposition, because both types of income reflected a realization of the asset's fair market value (FMV FMV - full-motion video ) on the date of the ownership change.

In the TAM, a corporation underwent a Sec. 382(g) ownership change when it had unused net operating loss operating loss

The excess of operating expenses over revenue. As with operating income, operating losses exclude revenues and expenses from operations that are not considered a regular part of the business. Also called deficit. Compare operating income.
 carryovers. Following the change and before the expiration limit, the corporation filed three years of refund claims. It claimed that for the refund years, its Sec. 382 limit should be increased to take into account income generated from an "existing patient base" (i.e., patients for whom the corporation supplied products and services at the time of the ownership change).

In support of its claim, the taxpayer pointed to the Technical and Miscellaneous Revenue Act of 1988 amendment to Sec. 382 that allows any income item properly taken into account during the recognition period but attributable to periods before an ownership change date, to be treated as an RBIG for the tax year in which it is properly taken into account. The taxpayer argued that the income generated from a "wasting asset Wasting Asset

A derivative security that loses value due to time decay.

Notes:
If wasting assets are held for too long, they will ultimately lose all their value.
" (such as its patient base) was the logical extension of the economic accrual model that allows gain or loss on an asset's disposition during the recognition period to be an RBIG.

The Service noted that the legislative history provided examples of post-ownership change income attributable to a pre-change period and treated as RBIG. However, these examples (including a cash-basis taxpayer's collection of 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  and Sec. 481(a) income adjustments) were distinguishable from income from wasting assets such as the taxpayer's patient base. In the IRS's view, all of the examples dealt with income deferral attributable to a taxpayer's accounting method. A wasting asset with BIG, however, merely has a FMV that exceeds its basis in the pre-change period; it does not have a fixed right to income taken into account in the post-change period.

The Service also noted that Congress nowhere indicated in the legislative history that the income from a wasting asset should mirror the treatment of the deductions enumerated This term is often used in law as equivalent to mentioned specifically, designated, or expressly named or granted; as in speaking of enumerated governmental powers, items of property, or articles in a tariff schedule.  in Sec. 382(h)(2)(B) (i.e., amounts allowable as depreciation, amortization or depletion in the post-change period for built-in-loss assets). Thus, it concluded that post-change income generated from a wasting asset that has a BIG on the change date is not the "flip side Flip side

In the context of general equities, opposite side to a proposition or position (buy, if sell is the proposition and vice versa).
" of treating depreciation, amortization and depletion deductions as recognized built-in losses.

The taxpayer's position in the TAM arguably can apply to a wide range of BIG assets that generate income in the post-change period. Intangible assets (such as the taxpayer's patient base) best accommodate this position, because they are expensed as developed and, as a result, generally have significant BIG on a change date. Following the TAM, it will be interesting to see if this issue is addressed by the courts in the future.

FROM JOSEPH QUINN Joseph Quinn (c. 1861-July 5, 1887) was a New York clerk, amateur wrestler and murder victim of Danny Lyons, a co-leader of the Whyos street gang. Early life
Although reportedly described as a pimp and rival Five Points thug, Quinn is described in newspaper accounts as
, 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. , OAK BROOK, IL
COPYRIGHT 2002 American Institute of CPA's
No portion of this article can be reproduced without the express written permission from the copyright holder.
Copyright 2002, Gale Group. All rights reserved. Gale Group is a Thomson Corporation Company.

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Title Annotation:Internal Revenue Code
Author:Quinn, Joseph
Publication:The Tax Adviser
Geographic Code:1USA
Date:Sep 1, 2002
Words:534
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