Client purchased a business from someone else and paid $10K for the small business. He received no assets, just the right to sell certain products. He will be filing a schedule C. Not real familar with this. Would this be depreciated over a certain life period. How long?
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Goodwill?
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Goodwill
Not depreciation. Amortization. Depreciation is only for things you can see and touch.
Goodwill is a Section 197 intangible.
See the instructions for Form 4562:
Certain section 197 intangibles.
The following costs must be amortized over 15 years (180 months) starting with the later of (a) the month the intangibles were acquired or (b) the month the trade or business or activity engaged in for the production of income begins:
Goodwill;
Going concern value;
Workforce in place;
Business books and records, operating systems, or any other information base;
A patent, copyright, formula, process, design, pattern, know-how, format, or similar item;
A customer-based intangible (e.g., composition of market or market share);
A supplier-based intangible;
A license, permit, or other right granted by a governmental unit;
A covenant not to compete entered into in connection with the acquisition of a business; and
A franchise, trademark, or trade name (including renewals).Burton M. Koss
koss@usakoss.net
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The map is not the territory...
and the instruction book is not the process.
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Originally posted by Burke View Post1. Sale of goodwill is a capital asset whether self-created, or purchased. If purchased, of course, there would be basis to deduct.
2. Sale of a covenant not to compete is treated as ordinary income.
3. A client list is considered the same as goodwill.
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Seller-created goodwill
My copy of TTB only has 25 tabs, so I could not find your citation.
I found this in Letter ruling 200243002 in regard to goodwill that has not been subject to amortization:
Because we conclude the Goodwill is not an amortizable section 197 intangible
and is not property that is of a character subject to the allowance for depreciation
provided in § 167, we further conclude that the Goodwill sold by Taxpayer qualifies as a
capital asset under § 1221.
This is consistent with recaptured depreciation. It is only considered ordinary income if it has previously created a reduction to ordinary income either through depreciation or amortization.
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