If an election under § 1.167(a)-11(f) , § 1.167(a)-12(e) , or § 1.167(a)-12(f) is applicable to the property, the salvage value of the property shall be determined in accordance with such election, and the asset depreciation period (or asset guideline period) applicable to the property pursuant to such election shall be considered to be the useful life of the property for the purposes of this section.
Example. The taxpayer's only item of section 1250 property is an office building with respect to which operations were commenced on January 1, 1971. The taxpayer depreciates the component parts of the building on the declining balance method. The useful life and costs of the component parts for depreciation purposes are as follows:
Asset | Useful life | Cost | Salvage value |
Building shell | 50 | $400,000 | $50,000 |
Partitions and walls | 10 | 40,000 | |
Ceilings | 10 | 20,000 | |
Electrical system | 25 | 40,000 | 2,500 |
Heating and air-conditioning system | 25 | 60,000 | 2,500 |
For purposes of computing the item of tax preference under this paragraph for the taxpayer, the partitions, walls, and ceilings may be grouped together and the electrical, heating, and air-conditioning systems may be grouped together since the period for which depreciation is taken began with respect to the assets within these two groups on the same date and the assets within each group have continually had the same useful life and have continually been depreciated under the same method (and rate).
(a) The taxpayer's 1971 item of tax preference under this paragraph would be determined as follows:
(1) | (2) | (3) | (4) |
Item of 1250 property | Declining balance depreciation | Straight line depreciation | Excess of (2) over (3) |
1. Shell | $12,000 | $7,000 | $5,000 |
2. Partitions, walls, ceilings | 9,000 | 6,000 | 3,000 |
3. Electrical, heating and air-conditioning systems | 6,000 | 3,800 | 2,200 |
1971 preference | 10,200 |
(b) Assuming the above facts are the same for 1974, the taxpayer's 1974 item of tax preference under this paragraph would be determined as follows:
(1) | (2) | (3) | (4) |
Item of 1250 property | Declining balance depreciation | Straight line depreciation | Excess of (2) over (3) |
1. Shell | $10,952 | $7,000 | $3,952 |
2. Partitions, walls, ceilings | 5,529 | 6,000 | None |
3. Electrical, heating and air-conditioning systems | 4,983 | 3,800 | 1,183 |
1974 preference | 5,135 |
The amount determined pursuant to the preceding sentence shall be determined as if the taxpayer had depreciated the property in accordance with § 1.167(a)-11 for all years to which such section applies and during which the taxpayer held the property. This amount may be determined under § 1.167(a)-12(a)(5) if the property is qualified property (as defined in § 1.167(a)-12(a)(3) ) and the taxpayer has made an election with respect to such property under § 1.167(a)-12(e) . If the taxpayer has made an election under § 1.167(a)-12(f)(1) for a taxable year ending before January 1, 1971, this amount shall be determined for such year in accordance with such election. For purposes of this determination, any method selected by the taxpayer which would have been permissible under section 167 for such taxable year, including accelerated methods, may be used. Any additional amount which would have been allowable by reason of section 179 (relating to additional first-year depreciation for small business) may be included provided such amount is reflected in the determination made under this paragraph in subsequent years.
If, prior to the date amortization begins under section 169, a deduction for depreciation has been taken by the taxpayer in any taxable year under section 167 with respect to the facility, the useful life, salvage value, etc., used for that purpose is deemed to be the appropriate useful life, salvage value, etc., for purposes of this paragraph, with such adjustments as are appropriate in light of the facts and circumstances which would have been taken into account since the time the last such depreciation deduction was taken, unless it is established by clear and convincing evidence that some other useful life, salvage value, or date the property is placed in service is more appropriate.
such deduction is to be deemed to be a deduction allowable under section 167.
Example. A calendar year taxpayer has a certified pollution control facility on which an election is in effect under section 169 commencing with January 1, 1971. No part of the facility is section 1250 property. The original basis of the facility is $100,000 of which $75,000 constitutes amortizable basis. The useful life of the facility is 20 years. The taxpayer depreciates the $25,000 portion of the facility which is not amortizable basis under the double declining method and began taking depreciation on January 1, 1971.
(a) The taxpayer's 1971 item of tax preference under this paragraph would be determined as follows:
1. Amortization deduction | $15,000 |
2. Depreciation deduction on amortizable basis (double declining method) | 7,500 |
1971 preference (excess of 1 over 2) | 7,500 |
(b) If the taxpayer terminated his election under section 169 in 1972 effective as of July 1, 1972, the taxpayer's 1972 item of tax preference would be determined as follows:
1. Amortization deduction | $7,500 |
2. Depreciation deduction on amortizable basis: | |
Full year ($75,000 (original basis) less $7,500 ("depreciation" to 1-1-72) equals adjusted basis of $67,500; multiplied by 0.10 (double declining rate)) | 6,750 |
Portion of full year's depreciation attributable to amortization period (one-half) | 3,375 |
1972 preference (excess of 1 over 2) | 4,125 |
Example. The Y Bank, a calendar year taxpayer, uses the reserve method of acounting for bad debts. On December 31, 1969, Y determines the balance of its reserve for bad debts to be $70,000 under the percentage method. On the same date Y's 5-year moving average is $52,000. Y incurs net bad debt losses (bad debt losses less recoveries of bad debts) of $3,000 for each of the years 1970, 1971, and 1972, which it charges to its reserve for bad debts. Y's 6-year moving averages computed under section 585(b)(3)(A) at the close of 1970, 1971, and 1972 are $50,000, $49,000, and $51,000, respectively. Y's preference items are computed as follows based upon additional facts assumed:
1970 | 1971 | 1972 | |
1. Bad debt reserve-percentage method: | |||
(a) Balance beginning of year (closing balance prior year) | $70,000 | $70,000 | $68,000 |
(b) Net bad debts charged to reserve | 3,000 | 3,000 | 3,000 |
(c) Subtotal | 67,000 | 67,000 | 65,000 |
(d) Deduction allowed | 3,000 | 1,000 | 4,000 |
(e) Balance end of year | 70,000 | 68,000 | 69,000 |
2. Bad debt reserve-"actual experience": | |||
(a) Beginning balance (for 1970, 5-year moving average; for other years, closing balance prior year) | 52,000 | 50,000 | 48,000 |
(b) Net bad debts charged to reserve | 3,000 | 3,000 | 3,000 |
(c) Subtotal | 49,000 | 47,000 | 45,000 |
(d) Maximum amount under section 585 (b)(3)(A) (6-year moving average minus (c)) | 1,000 | 2,000 | 6,000 |
(e) Deduction allowed (line 1(d)) | 3,000 | 1,000 | 4,000 |
(f) Lower of (d) or (e) | 1,000 | 1,000 | 4,000 |
(g) Closing balance (line (c) + (f)) | 50,000 | 48,000 | 49,000 |
3. Preference item under section 57(a)(7): | |||
(a) Deduction allowed | 3,000 | 1,000 | 4,000 |
(b) Maximum amount under section 585(b)(3)(A) | 1,000 | 2,000 | 6,000 |
(c) Preference item (excess of (a) over (b)) | 2,000 | 0 | 0 |
Example. For 1971, A, a calendar year individual taxpayer, recognized $50,000 from the sale of securities held for more than 6 months. In addition, A received a $15,000 dividend from X Fund, a regulated investment company, $12,000 of which was designated as a capital gain dividend by the company pursuant to section 852(b)(3)(C). The AB partnership recognized a gain of $20,000 from the sale of section 1231 property held by the partnership. The AB partnership agreement provides that A is entitled to 50 percent of the income and gains of the partnership. A had net short-term capital loss for the year of $10,000. A's 1971 capital gains item of tax preference is computed as follows:
Capital gain recognized from securities | $50,000 |
Capital gain dividend from regulated investment company | 12,000 |
Distributive share of partnership capital gain | 10,000 |
Total net long-term capital gain | 72,000 |
Less: net short-term capital loss | (10,000) |
Excess of net long-term capital gain over net short-term capital loss | 62,000 |
One-half of above excess | 31,000 |
by the sum of the normal tax rate plus the surtax rate under section 11. In case of foreign source capital gains and losses which are not taken into account pursuant to sections 58(g)(2)(B) and 1.58-8, the amount determined in the preceding sentence shall be multiplied by a fraction the numerator of which is the corporation's net section 1201 gain without regard to such gains and losses which are not taken into account and the denominator of which is the corporation's net section 1201 gain. The computation of the corporate capital gains item of tax preference may be illustrated by the following examples:
Example 1. For 1971, A, a calendar year corporate taxpayer, has ordinary income of $10,000 and net section 1201 gain of $50,000, none of which is subsection (d) gain (as defined in sec. 1201(d)) and none of which is attributable to foreign sources. A's 1971 capital gain item of tax preference may be computed as follows:
1. Tax under section 11: | ||
Normal tax (0.22 * $60,000) | $13,200 | |
Surtax (0.26 * $35,000) | 9,100 | |
22,300 | ||
2. Tax under section 1201: | ||
(a) Normal tax on ordinary income (0.22 * $10,000) | $2,200 | |
Tax on net section 1201 gain (0.30 * $50,000) | $15,000 | $17,200 |
3. Excess | 5,100 | |
4. Normal tax rate plus surtax rate | .48 | |
5. Capital gains preference (line 3 divided by line 4) | 10,625 |
Example 2.
For 1971, A, a calendar year corporate taxpayer, has a loss from operations of $30,000 and net section 1201 gain of $150,000, none of which is subsection (d) gain (as defined in section 1201(d)) and none of which is attributable to foreign sources. A's 1971 capital gain item of tax preference may be computed as follows:
1. Tax under section 11: | ||
Normal tax (0.22 * $120,000) | $26,400 | |
Surtax (0.26 * $95,000) | 24,700 | |
51,100 | ||
2. Tax under section 1201(a): | ||
Normal tax on ordinary income | None | |
Tax on net section 1201 gain (0.30 * $150,000) | 45,000 | 45,000 |
3. Excess | 6,100 | |
4. Normal tax rate plus surtax rate | .48 | |
5. Capital gain preference (line 3 divided by line 4) | 12,708 |
Example. M, a calendar year regulated investment company, in 1971, has investment company taxable income (subject to tax under sec. 852(b)(1)) of $125,000 and net long-term capital gain of $800,000. M company has no net short-term capital loss but has a deduction for dividends paid (determined with reference to capital gains only) of $700,000, M's 1971 capital gains item of tax preference is computed as follows:
1. Section 852(b)(1) tax computed as if it were applicable to all income including capital gains: | |||
Amount subject to section 852(b)(1) | $125,000 | ||
Net section 1201 gain | $800,000 | ||
Less: Dividends paid deduction | 700,000 | ||
Net section 1201 gain subject to tax at the company level | 100,000 | ||
225,000 | |||
Normal tax (0.22 * $225,000) | $49,500 | ||
Surtax (0.26 * 200,000) | 52,000 | ||
101,500 | |||
2. Tax comparable to section 1201(a) tax section 852(b)(1) tax: | |||
Normal tax (0.22 * 125,000) | $27,500 | ||
Surtax (0.26 * 100,000) | 26,000 | $53,500 | |
Section 852(b)(3) tax (0.30 * 100,000) | 30,000 | ||
$83,500 | |||
3. Excess | 18,000 | ||
4. Normal tax rate plus surtax rate | .48 | ||
5. Capital gains preference (line 3 divided by line 4) | 37,500 |
26 C.F.R. §1.57-1