Estate and Trust Form 1041 Issues for Tax Return Preparers

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Estate and Trust Form 1041 Issues for Tax Return Preparers Allocating Income and Deductions, Calculating DNI, Understanding Reporting Rules for Trusts, and More WEDNESDAY, FEBRUARY 27, 2013, 1:00-2:50 pm Eastern IMPORTANT INFORMATION This program is approved for 2 registered tax return preparer (RTRP) credit hours (other federal tax law/federal tax related). Based on the IRS rules, to earn credit you must: Participate in the program on your own computer connection or phone line (no sharing) if you need to register additional people, please call customer service at 1-800-926-7926 x10 (or 404-881-1141 x10). Strafford accepts American Express, Visa, MasterCard, Discover. Respond to verification codes presented throughout the seminar. If you have not printed out the Official Record of Attendance, please print it now. (see Handouts tab in Conference Materials box on left-hand side of your computer screen). To earn Continuing Education credits, you must write down the verification codes in the corresponding spaces found on the Official Record of Attendance form. Complete and submit the Official Record of Attendance for Continuing Education Credits included with the presentation materials. That record must include your PTIN ID #. Instructions on how to return it are included on the form. To earn full credit, you must remain on the line for the entire program. WHOM TO CONTACT For Additional Registrations: -Call Strafford Customer Service 1-800-926-7926 x10 (or 404-881-1141 x10) For Assistance During the Program: - On the web, use the chat box at the bottom left of the screen - On the phone, press *0 ( star zero) If you get disconnected during the program, you can simply call or log in using your original instructions and PIN.

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Estate and Trust Tax Return Form 1041 Robert Barnhill Attorney, CPA/PFS, CFP 806-794-1282 rebiii@att.net 4

Objectives of course Discuss latest changes in enforcement Review steps to complete accurate 1041 Review computation of DNI and allocation between entity and beneficiaries Questions and answers 5

Types of fiduciary entities DNI based IRC Secs. 641-668 Probate estates Most irrevocable trusts Grantor trusts IRC Secs. 671-678 Revocable trusts Irrevocable inter vivos trusts Filing requirements DNI Form 1041 Grantor Revocable: Form 1040 Irrevocable: Form 1040 and/or Form 1041 6

Where to begin First: Read document Determine beneficiaries Special instructions to compute Trust Accounting Income (TAI) Second: Compute TAI Governed by state law (Uniform Principal and Income Act) Document, Fiduciary, State Law, Corpus Two pots income and corpus Cash accounting Third: Allocate TAI between entity and beneficiaries 7

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Computing Entity's Taxable Income Based on individual income tax rules IRC Sec. 641(b) Form 1041, Line 9 Total Income Form 1041, Line 17 Adjusted Total Income Computing Income Distribution Deduction Form 1041, Line 18 Amount of taxable DNI allocated to noncharitable beneficiaries Allocation of DNI between beneficiaries Based on composition of DNI and distributions to beneficiary 9

Form 1041, Line 9 Total Income Gross Income less directly related expenses Except for Schedule D, use same support schedules as Form 1040 Qualified Dividends same rules as individuals Schedule C possible audit trigger (sham trusts) Net operating loss Same rules as individuals Allocated to beneficiaries only in final year Schedule D same rules as individuals Basis IRC Sec. 1014 assets included in Gross Estate IRC Sec. 1015 assets gifted during life 10

Depreciation No IRC Sec. 179 deduction No IRC Sec. 179 allocated to estate or trust Amount of depreciation same rules as individuals Allocation of depreciation Was TAI reduced for depreciation? If Yes, allocate tax depreciation to appropriate support schedule based on amount of accounting depreciation If No (or tax depreciation greater than accounting depreciation), allocate tax depreciation to beneficiaries based on amount of TAI received Amount allocated to beneficiaries reported on Schedule K-1 AMT Allocated in same manner 11

Example Tax Depreciation Accounting Depreciation Schedule C Allocation of TAI: A-50%, B-30%, C-20% Schedule K-1: A-$2,500, B-$1,500, C-$1,000 $15,000 $10,000 $10,000 12

Passive activities Same rules as individuals (one exception) Rental real estate offset ($25,000) Trust not allowed to take Estates can take only if Decedent actively participated Surviving spouse does not take Only allowed for two tax years Distribution of passive activity Contributed to trust during life Included in probate estate Distributed to beneficiary from estate or trust 13

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Income in respect of a Decedent Form 1041, Line 8 Income realized, but not recognized, before death Receives a zero basis Type of Income determined by decedent Taxed when collected itemize on schedule Must be included in probate estate or trust before shown on Form 1041 Deductions in respect of a Decedent Form 1041, Line 15a Debts of decedent paid after death Deductible on both Form 706 and Form 1041 Income tax deduction based on income tax rules Limited: Business, Interest, Taxes, IRC Sec. 212 Medical, charitable, capital loss, NOL not DRD 15

Itemized Deductions Lines 10-15b Interest Line 10 Taxes Line 11 Fiduciary Line 12 Charitable Line 13 Attorney, accountant Line 14 Deductions not subject to 2% AGI floor Line 15a Deductions subject to 2% AGI floor Line 15b Generally, subject to same rules as individuals Exempt income allocation Other information, Question 1, Page 2 IRC Sec. 642(g) double deduction Transmission Management 16

Interest Investment Interest Qualified residential interest Taxes same as individuals, except, no sales tax Section 212 expenses Production and collection of income Management, conservation or maintenance of property held for the production of income Determination, collection or refund of any tax 17

Charitable deduction IRC Sec. 642(c) Same charities as individuals Must be authorized by document Personal assets of decedent Limited by Gross Income Must be distributed Charity does not receive a Schedule K-1 (Letter notification) 18

2% AGI Rule IRC Sec. 67 reduces deductibility of miscellaneous itemized deductions by 2% of AGI Exception for expenses unique to an estate or trust IRC Sec. 67(e) Supreme Court Knight (2008) Expenses commonly or customarily incurred by individuals If 2% rule applies to individual, applies to entity Only expenses not commonly incurred fully deductible Investment adviser fees are second largest deduction Test applies to all Section 212 expenses 19

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Personal residence of Decedent Takes on a neutral status after death Rental Investment Residence 21

Line 19: Estate tax deduction IRC Sec. 691(c) If federal estate taxes are paid and gross estate included IRD Deduction allowed only if entity will pay income taxes on IRD Deduction allocated to beneficiaries if IRD allocated to beneficiaries No discretion on who can take deduction Personal exemption Estates: $600 Trusts $300: if all TAI required to be distributed $100: if TAI not required to be distributed Some complex trusts can have $300 exemption 22

Types of fiduciary entities Simple trusts IRC Secs. 651-652 All TAI required to be distributed (always distribute) No charitable contributions allowable No corpus distributions actually made Complex trusts and estates IRC Secs. 661-663 Can change from year to year (e.g. QTIP trust) In final year, all trusts will be complex 23

Distributable Net Income IRC Sec. 643(a) Can NEVER be negative Computation Adjusted Total Income Add net tax-exempt interest Other information, Question 1 Deductions paid with exempt interest removed Use schedule to determine Remove all capital transactions Add back, if allowed, capital gains Taxable portion of DNI determines maximum Income Distribution Deduction (IDD) 24

Capital gains are included in DNI In final year If included in TAI If actually distributed IRC Sec. 643(b) regulations Consistent treatment allows capital gains to be in DNI If corpus distributions are consistently reflected to included capital gains, then capital gains in DNI Capital losses never reduce DNI Allocated to corpus beneficiaries in final year 25

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Distributions Tier I: required TAI distributions Tier II: all other actual distributions Tier I only type made by simple trusts Deemed made on 12/31 unless made earlier Must be distributed by 4/15 Tier II Must actually distribute IRC Sec. 663(a) specific bequests IRC Sec. 663(b) 65-day rule 27

Noncash distributions Types of estate distributions: specific, pecuniary, residual Deduction equals lesser of adjusted basis or FMV on date distributed Sales Involuntary Noncash distribution to satisfy pecuniary Estates, but not trusts, can recognize gains and losses Voluntary IRC Sec. 643(e)(3) Annual election all or nothing Only gains recognized Allows more DNI to be allocated without actually distributing more 28

Allocation of DNI to noncharitable beneficiaries Charities never receive DNI Beneficiaries that receive Tier I and Tier II distributions receive DNI Lesser of DNI or sum of Tier I and Tier II distributions determines amount of DNI allocated Distributions exceed DNI, 100% of DNI allocated DNI exceed distributions, distributions equal amount of DNI allocated If distributions made, DNI must be allocated Taxable portion of DNI allocated equals IDD Ice cream example 29

Schedule K-1 Character of DNI determines Schedule K-1 amounts How were deductions paid? Directly related deductions are paid with income generated by deduction Charity must receive some of every type of income in TAI Other expenses can be paid with choice of income No negative income Tier I distributions are allocated DNI first Remaining DNI allocated to Tier II distributions A s share of Tier II distributions/total Tier II distributions * DNI allocated to Tier II distributions = A s share of DNI 30