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AICPA's 2008 Federal Income Tax "Workshop Update" by Sid Kess: Applying the Key Changes

Author/Moderator: Sidney Kess, CPA, J.D., LL.M., Bill Harden, CPA, ChFC, Ph.D. with contributions by Carolyn Turnbull, CPA, MST, and Meicher & Associates, LLP under the direction of Blake J. Fritz, CPA; Jason R. Kadow, CPA, CVA; and Cory A. Myers, CPA
Publisher: AICPA
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Description

This course has been updated to include content on the Emergency Economic Stabilization Act of 2008

Finally, seasoned tax professionals, including those who have benefited in the past from taking the renowned Sid Kess two-day individual and corporate income tax return workshops, can now get a single-day version that covers only the current year tax changes! You still get the in-depth coverage that the workshops are famous for, but you focus intensely on only those areas that have changed. Receive a wealth of tax planning tips and strategies. Learn how to apply the latest changes when preparing federal income tax returns and advise clients on new developments and tax-saving ideas for individual and business tax returns. Key tax return issues are in this course.

Objectives: 

  • Apply the latest changes when preparing federal individual and business income tax returns
  • Advise clients on developments and tax-saving ideas

Prerequisite: Knowledge of individual and business income taxation and return preparation

Table of Contents

  • Chapter 1 - 2008 Inflation-Adjusted Tax Figures
    • Learning Objectives
    • 2008's Key Inflation-Indexed Figures and New Law Changes
      • Standard Mileage Rates per Mile
      • High-Low Per Diem Rates for Business Travel
      • Depreciation Dollar Caps for Business Vehicles
      • Qualified Plans
      • Other Indexed Amounts
      • Changes Scheduled by Statute
      • Individual Income Tax Rates for 2008 (Rev. Proc. 2007-66)
  • Chapter 2 - Recent Tax Law Changes Affecting Individuals
    • Learning Objectives
    • Food, Conservation, and Energy Act of 2008 aka The Farm and Military tax Acts of 2008
      • Self Employment Income
      • Limitation on Farm Losses
      • Endangered Species Recovery Expenses
      • Racehorses
      • Charitable Contributions of Real Property for Conservation
      • Tax Credits
    • Economic Stimulus Act of 2008
      • Individual Rebates
      • Business Incentives
      • Temporary Bonus Depreciation
    • Tax Technical Corrections Act of 2007
    • Tax Increase Prevention Act of 2007
      • Alternative Minimum Tax Relief
    • Mortgage Forgiveness Relief Act of 2007
      • Discharges of Indebtedness on Principal Residence Excluded From Gross Income
      • Mortgage Insurance Deduction
      • Survivor's Home Sale Exclusion
      • Volunteer Emergency Responders
  • Chapter 3 - Other Tax Developments Affecting Individuals
    • Learning Objectives
    • Medical Deductions
    • Start-Up and Organizational Expenses
    • Like-Kind Exchange Escrow Account Income
    • Automatic Extensions for Pass-Through Entities
    • Like-Kind Exchanges on Personal Use Vacation Properties
    • IRS Preparer Penalty Standard
    • Withholding Requirements on Supplemental Wages
    • Employee vs. Independent Contractor News
    • Abandonment Test for Loss Deduction of Worthless Stock
    • Investment Interest Deduction Limitation
    • Investment Advisor Fee Deduction in Trusts
    • IRC 529 Tuition Plans
    • Wash Sale Rules Apply to IRA Transactions
    • New Tax Credit for First-time Home Buyers
  • Chapter 4 - Kiddie Tax Update
    • Learning Objectives
    • Kiddie Tax
      • Child's Age Is the Key Factor
      • Kiddie Tax Rules for 2008 and Beyond
      • Kiddie Tax Avoidance Strategies for 2008 and Beyond
      • Calculation of the Kiddie Tax
      • Other Kiddie Tax Factors
      • Election to Claim Child's Unearned Income on Parents' Return
  • Chapter 5 - Update on Health Savings Accounts (HSAs)
    • Learning Objectives
    • Health Savings Account (HSA) Contributions
      • How HSAs Work in a Nutshell
      • Determining Eligibility for HSA Contributions
      • HSA Contributions for Married Individuals
      • HSA Contribution Eligibility Can Be Determined at Yearend (but Watch Out for Recapture Provisions)
      • New HSA Rollover Deal for FSA and HRA Balances (but Watch Out for Recapture Provisions).. 5-13 New IRA-to-HSA Rollover Deal (but Watch Out for Recapture Provision)
      • Pay Attention to Important HSA Timing Considerations
      • Summary Client Advice on HSAs and HDHPs
  • Chapter 6 - Employee Stock Options
    • Learning Objectives
    • Employee Stock Options
      • Incentive Stock Options
      • Holding Requirement for ISO Stock
      • Nonqualified Stock Options
      • Transfers in a Divorce
      • Gifts of Stock Options
  • Chapter 7 - Tax Planning Ideas
    • Learning Objectives
    • Capital Gain/Loss Planning for 2008 to 2010
      • Planning Opportunity
      • Using a Child's Capital Gain Rate
      • Capital Gain Impact on Phase-in of Taxable Social Security
      • AMT Impact of Large Capital Gain
    • Depreciation Planning for 2008
      • Section 179
      • Mid-Quarter Convention
      • Calculating Mid-Quarter Depreciation
      • Temporary Bonus Depreciation
      • Proposed De Minimis Rule for Expensing Tangible Property
      • Depreciation Recapture
      • Depreciation Recapture for Personal Property (~§~1245)
      • Recapture of Section 179 Expensing Deduction
    • Filing Status Considerations
      • Taxpayers Must File Jointly to Qualify as Innocent Spouse
      • Liberalization of Relief Provisions
      • IRS Regulatory Guidance
      • When Married Couples Should Consider Separate Returns
      • Separate Return for Married Child Can Save Parent's Dependency Exemption
      • Treatment of Community Income Where Spouses Live Apart
    • Roth and IRAs
      • Roth Elective Deferral Plans
      • Roth Conversions
      • Final Regulations
      • Bankruptcy Protection
    • College Planning
      • Higher Education Tax Credits
      • Amount of Credits
      • AGI Phase-Outs
      • Student's Dependency Exemption
      • Hope Credit Only Allowed for Two Academic Years
      • Allowable Tuition Prepayments
      • Mixing and Matching the Hope and Lifetime Learning Credits
      • Voluntary Taxation of Scholarship Amounts
    • Penalties
      • Accuracy-Related Penalties
      • Reasonable Cause
      • Substantial Authority
      • Negligence and Disregard of the Rules
      • Negligence
      • Disregard of Rules or Regulations
      • Damages for Proceedings Instituted Primarily for Delay
      • Substantial Understatement of Income Tax
      • Types of Authority
      • Adequate Disclosure
      • Fraud
      • Fraudulent Failure to File
      • New Penalty on Erroneous Claims for Refunds or Credits
      • New Proposed Regulations on Tax Return Preparer Penalties
  • Chapter 8 - Comfort Letters
    • Practice Aid 8-1: Example Wording for a CPA Comfort Letter
  • Chapter 9 - S Corporations
    • Learning Objectives
    • Advantages and Disadvantages of S Corporations
      • Splitting Income Amongst Family Members
    • Eligibility and S Elections
      • 100 Shareholder Limit
      • Qualified Subchapter S Subsidiary (QSub)
      • Late S Election Relief
      • Private Ruling Request for Late S Election Relief
      • Late S Election Relief in Community Property States
      • Late S Election Relief with Entity Classification Change
    • Corporate-Level Taxes Imposed on S Corporations
      • Excess Passive Investment Income
    • S Corporation Pass-Through Treatment
      • Shareholder Guarantee of Corporate Debt
      • Related Company Loans
      • Shareholder Open-Account Debt
      • Treatment of Distributions
      • Shareholder Treatment of S Corporation Items
    • Tax Years and Other Compliance Issues
      • Compensation and Fringe Benefits
      • Interest Expense Involving S Shareholders
      • Schedule M-3 Filing and Reporting by Large S Corporations
      • Tax Reporting Penalty for S Corporations
      • Limitation on Disclosures to S Corporation Shareholders
  • Chapter 10 - Personal Service Corporations
    • Learning Objective
    • Personal Service Corporations
      • Personal Service Corporation Tax Pitfalls
      • Summary of PSC Tax Restrictions
      • Special PSC Rules
  • Chapter 11 - C Corporations and Items of Income
    • Learning Objectives
    • Form 1120
      • Contents of Schedule M-3
      • Other Disclosure Requirements
    • Inventories
      • FIFO and LIFO Inventories
      • Capitalizing Inventory Costs
    • Accounting Methods and Change of Accounting Method
      • General Change in Accounting Method
    • Installment and Deferred Payment Sales
      • Installment Sales at a Contingent Price
      • Sales to Related Taxpayers
      • Liquidating Distributions of Installment Obligations
      • Electing Out of the Installment Method
      • Property Sold Subject to a Mortgage
      • Unstated Interest
      • Sale of an Installment Obligation
      • Reporting of Installment Sales
    • Accrual of State Tax Refund
      • State and Local Tax Incentives
    • Involuntary Conversions and Like-Kind Exchanges
      • Deferred and Multiple-Party Exchanges
      • Escrow Arrangements
      • Related Party Exchanges
      • Reporting Requirements
      • Like-Kind or Class Requirements
      • Reverse Like-Kind Exchanges
  • Chapter 12 - C Corporation Items of Deduction
    • Learning Objectives
    • Salaries and Wages
      • Overview
      • Severance Payments
      • Reasonable Compensation
      • Limit on Deduction for Executive Pay Over $1 Million
      • Nonqualified Deferred Compensation Plans
    • Expenses vs. Capital Expenditures
      • Treatment of Environmental Expenditures
      • Other Capitalization Issues
      • Proposed Regulations on Capitalization of Repairs and Tangible Property Expenditures
    • Charitable Contributions
      • Overview
      • Property Contributions
      • Special 2~½~ Month Rule for Accrual Corporations
      • Donee Acknowledgment and Required Substantiation
    • Casualty and Theft Losses
      • Disaster Losses
      • New York Liberty Zone Tax Incentives
      • Gulf Opportunity Zone Tax Incentives
    • Amortization
      • Electing to Amortize Start-up Costs (Pre-September 8, 2008 Costs)
      • Electing to Amortize Start-up Costs (Post September 7, 2008 Costs)
    • Cost Recovery and Depreciation
    • Depreciation Systems
    • Leasehold Improvements
    • Income-Forecast Method of Depreciation
    • Capitalization of Minor Cost Assets
    • Tax-Exempt Entity Leasing
    • Demolition Expenses
    • Modified Accelerated Cost Recovery System (MACRS)
      • Overview
      • MACRS Recovery Periods
      • Residential and Nonresidential Real Property
      • Percentage Tables Used for MACRS Calculations
      • Correction of Depreciable Class Life
      • Applicable Depreciation Conventions
      • Alternative Depreciation System
      • 30% and 50% First Year Bonus Depreciation
      • Recovery Periods for Short Tax Years
      • General Asset Accounts
      • Luxury Autos
      • Leased Automobiles
    • Election to Expense Depreciable Business Assets
      • Overview
      • Qualifying Property
      • Making the Election
      • Calculating the Deduction
      • Deduction Limits
      • $25,000 Vehicle Limit
      • Recapture of ~§~179 Expensed Amounts
      • Effect of Expensing on Corporate Earnings and Profits
      • Energy Efficient Commercial Building Expensing
    • Deduction for Domestic Production Activities
      • Overview
      • Eligible Production Income
      • The Wage Limitation
      • Eligibility Issues
      • Puerto Rico Part of U.S. for the PAD
      • Other PAD Changes Now Effective
      • Regulations for ~§~199 - Online Software and Cooperatives
      • Calculating QPAI at Entity Level
      • Use of Statistical Sampling with ~§~199
      • Other ~§~199 Rules
  • Chapter 13 - C Corporations Other Items of Deduction and Passive Activity Loss Limitations
    • Learning Objectives
    • Retirement Plans
      • SIMPLE Retirement Plans
      • Qualified Plans
      • Nondiscrimination and Other Rules for Qualified Plans
      • Additional Requirements for a Qualified Pension, Profit-Sharing, or Stock Bonus Plan
      • "Cash or Deferred" Profit-Sharing Plans - ~§~401(k) (CODAs)
    • Other Deduction Items
      • Timing - Economic Performance
      • Use of the Recurring Item Exception for Payroll Taxes on Vacation Pay and Bonuses
    • Travel and Entertainment
      • M&IE Limitation in Employee Leasing Settings
      • Substantiation Requirements for Away-from-Home Travel and Entertainment Expenses
      • Reimbursements of Employee Business Expenses
    • Employee Benefit Programs
      • Health Savings Accounts (HSAs)
      • Tax Relief and Health Care Act HSA Modifications
      • Health Reimbursement Arrangements (HRAs)
      • Health FSA and HRA Rollovers to HSA
    • Net Operating Loss (NOL) Deduction
      • Specified Liability Losses
      • Form 1139 Carryback Form
      • Loss Limitation Due to Change in Ownership
  • Chapter 14 - C Corporations Tax Credits, Multiple Corporations, Corporate Taxes and Compliance Matters, and Alternative Minimum Tax
    • Learning Objectives
    • Corporate Tax Credits
      • Organization of Tax Credits
      • Jobs Tax Credits
      • Tax Credit for Increasing Research Activities
      • Employer-Provided Child Care Credit
      • New Retirement Plans Credit
      • Low-Income Housing Credit
      • Disabled Access Credit
      • Empowerment Zone Employment Credit
      • Employer Social Security Credit on Tips
      • Home Contractor Energy Credit
      • Alternative Motor Vehicle Credit
    • Multiple Corporations
      • Limitation on Multiple Tax Benefits
      • Other Related-Corporation Rules
      • Succession to Items of Liquidating Corporation when Multiple Members Receive Assets
      • Intercompany Gain with Respect to Group Member Stock
    • Corporate Penalty Taxes
      • Corporate Distributions at a 15% Dividend Rate
      • Eliminating S Corporation AE&P
    • Corporate Taxes and Compliance Matters
      • Income Tax Return Preparer Changed to Tax Return Preparer
      • Payments and Penalties
    • Alternative Minimum Tax (AMT)
      • AMT Adjustments
  • Chapter 15 - Ethics Focus: Taxation
    • Ethics Overview
    • Recent Developments
    • Spotlight on Independence in Tax Services
    • Key Ethical Dilemmas and Judgment Calls
    • Addressing Ethical Dilemmas
    • Available Resources
  • Chapter 16 - Latest Developments

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Excerpts

Chapter 2

Recent Tax Law Changes Affecting Individuals

Learning Objectives

After completing this chapter, you should be able to

  • Understand the tax law changes made by the Food, Conservation, and Energy Act of 2008. P.L. 110-234.
  • Understand the tax law changes made by the Economic Stimulus Act of 2008. P.L. 110- 185.
  • Understand the tax law changes made by the Tax Technical Corrections Act of 2007. P.L. 110-172.
  • Understand the tax law changes made by the Tax Increase Prevention Act of 2007. P.L. 110-166.
  • Understand the tax law changes made by the Mortgage Forgiveness Relief Act of 2007. P.L. 110-142.

Food, Conservation, and Energy Act of 2008 aka The Farm and Military tax Acts of 2008

The Food, Conservation, and Energy Act of 2008 was signed into law on May 28, 2008, and provides benefits to farmers, ranchers, and timber producers, while raising revenue from certain gentlemen farmers and ethanol producers.

Self Employment Income

There are two provisions with respect to self-employment tax for farmers.

Retired or disabled taxpayers can exclude Conservation Reserve Program (CRP) payments from self-employment income for both tax and Social Security purposes. The thresholds applicable to the farm and nonfarm optional methods of computing net earnings from self-employment are increased, and indexed for inflation.

For purposes of the self-employment tax, the payment thresholds applicable to the farm and nonfarm optional methods of computing net earnings from self-employment are based on the sum of the minimum earnings required for a quarter of coverage under the Social Security Act for each quarter of the tax year. Self-employed individuals who elect an optional method can secure four quarters of Social Security coverage in each tax year beginning in 2008.

Limitation on Farm Losses

Taxpayers, other than C corporations, who receive Commodity Credit Corporation (CCC) loans or certain other farm subsidies, are limited as to the amount of net Schedule F losses from farming they may take. The limit for any given tax year is the greater of $300,000 ($150,000 for a married taxpayer filing separately) or the taxpayer's net farm income for the prior five tax years. Farmers and ranchers not receiving CCC loans or federal commodity payments are unaffected.

A disallowed loss in one tax year is carried forward to the next tax year and treated as a deduction attributable to a farming business of the taxpayer in that tax year [ITC ~§~461(j)(2)]. Such amounts can be carried forward indefinitely, and without limitation. Further, farming losses attributable to fire, storm, or other casualty (including disease or drought) are disregarded for purposes of determining aggregate deductions from a farming business [IRC ~§~461(j)(4)(D)]. To calculate a taxpayer's aggregate net farm income for the five preceding tax years, losses that are limited under this provision are taken into account in the year they are actually allowed as a deduction.

Endangered Species Recovery Expenses

Endangered species recovery expenditures are now included along with soil and water conservation expenditures and land erosion prevention expenditures as a type of expenditure that may be currently deducted by a farmer under IRC ~§~175.

The limitation described in IRC ~§~175(b) is based on 25% of gross income from farming and also applies to endangered species recovery expenditures. This 25% limit is not applied separately to each category of expenditures. In other words, the limit applies to the total amount spent by a farmer during the tax year for soil and water conservation expenditures, land erosion prevention expenditures, and endangered species recovery expenditures.

Racehorses

The modified accelerated cost recovery system (MACRS) recovery period for race horses two years or younger when placed in service after December 31, 2008, and before January 1, 2014, is reduced from seven to three years.

Charitable Contributions of Real Property for Conservation

The temporary rules encouraging contributions of real property for conservation purposes by enhancing the associated charitable deductions have been extended for an additional two years.

Charitable deductions are usually not allowed for a contribution of a partial interest in property, but an exception is made for a qualified conservation contribution [IRC ~§~170(f)(3)(B)(iii)]. A qualified conservation contribution is a contribution of a qualified real property interest, to a qualified organization, exclusively for conservation purposes. The contribution may consist of all of the owner's interests in the property, except for certain mineral interests, or it may be limited to an easement or restrictive covenant that prevents the development of land, safeguarding its natural character. A qualified organization includes certain governmental units, public charities that meet certain public support tests, and certain supporting organizations. A qualified conservation purpose includes the preservation of land areas for outdoor recreation, the protection of a natural habitat, the preservation of open space, including farmland and forest land for the scenic enjoyment of the general public, or the preservation of an historic structure.

Tax Credits

Income Tax Credit for Cellulosic Biofuel Production Established

A $1.01 per gallon nonrefundable income tax credit for the production of qualified cellulosic biofuel has been added as a component of the alcohol fuels credit (IRC ~§~40). The cellulosic biofuel producer credit applies to qualified cellulosic biofuel produced after December 31, 2008, but before January 1, 2013 [IRC ~§~40(b)(6)(H) and 40(e)].

Alcohol Fuels Credit for Ethanol Blends

The alcohol fuels income tax credit applicable to ethanol blenders is reduced to 45 cents per gallon for ethanol with a proof of 190 or greater, and to 33.33 cents per gallon for ethanol with a proof that is at least 150, but less than 190, for the calendar years 2009 and 2010. However, the credit rate for ethanol of 190 proof or greater shall remain at 51 cents per gallon if the Secretary of the Treasury makes a determination, with respect to any year after 2007, that less than 7.5 billion gallons of ethanol has been produced in or imported into the United States.

Several requirements that must be satisfied before the alcohol fuels credit may be claimed by a taxpayer. The alcohol mixture credit may be claimed for the sale or use of a qualified mixture fuel. A qualified mixture fuel is defined as a mixture of alcohol and gasoline or any other liquid fuel suitable for use in a combustion engine that is sold by the taxpayer to any other person for use as a fuel or is actually used as a fuel by the taxpayer [IRC ~§~40(b)(1)(B)]. Additionally, the taxpayer must be in the trade or business of producing alcohol fuel mixtures for sale or use, and may claim the credit only in the year of actual sale or use occurs [IRC ~§~40(b)(1)(C)]. No alcohol fuel mixture credit is allowed for any casual off-farm production [IRC ~§~40(b)(1)(D)]. The alcohol credit may be claimed for any alcohol used as a fuel that is not mixed with gasoline or other liquid fuel suitable for use in a combustion engine other than a denaturant. The taxpayer may use the fuel in a trade or business or sell it at retail to a third party and place it into their fuel tank [IRC ~§~40(b)(2)].

To determine the number of gallons with respect to which an alcohol fuels credit is allowable, the volume of alcohol includes the volume of any denaturant, including gasoline, added under Secretary approved formulas, to the extent that such denaturants do not exceed 2% (down from 5%) of alcohol volume, including denaturants, for fuel sold or used after December 31, 2008 [40(d)(4)].

New Agricultural Chemicals Security Tax Credit Provided

The Act establishes a 30% credit for qualified chemical security expenditures for a tax year with respect to eligible agricultural businesses. The credit is a component of the general business credit [IRC ~§~450(a)]. The credit is limited to $100,000 per facility. This amount is reduced by the aggregate amount of the chemical security tax credits allowed for the facility in the prior five years. In addition, each taxpayer's annual credit is limited to $2 million. The term "taxpayer" includes controlled groups under rules similar to the rules set out in IRC ~§~41(f)(1) and (f)(2). The credit only applies to expenditures paid or incurred before December 31, 2012. The taxpayer's deductible expenses are reduced by the amount of the credit claimed.

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Videocourse Details

NASBA Field of Study: Taxes
Level: Update
Recommended CPE Credit: 14
AICPA's 2008 Federal Income Tax "Workshop Update" by Sid Kess: Applying the Key Changes
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