This is an outgrowth of another discussion which is going in several different directions. I would like this thread to focus on "allowable" depreciation never taken in the past.
This usually is the product of ignorance. Someone typically sells property, most commonly long-lived real estate, and has never taken depreciation on the property as an expense. Didn't know they had to - thought they could pick and choose - previous tax preparer didn't do it - the reasons are many and varied. Doesn't matter, most of us on this forum know they are required to recapture "allowable" depreciation whether taken on not.
My question: Is there a way to take an accumulated effect of all such "missed" depreciation as a current year expense? This means "all" such depreciation, as several have suggested ways to partially recover the amounts.
Some ideas already offered on Geekgirl's thread:
An amended return can go back and re-elect, spreading the effect of the last three years. The filing of Form 3115 can give rise to a §481 adjustment whereby as many as four years can be lumped into the current year. Both of these are subject to the $25,000 loss limit and $150,000 loss phaseout for any and all years affected.
But none of the suggestions/discussions address the possibility of reclaiming ALL of the lost depreciation since inception. Is there a way to do it??
This usually is the product of ignorance. Someone typically sells property, most commonly long-lived real estate, and has never taken depreciation on the property as an expense. Didn't know they had to - thought they could pick and choose - previous tax preparer didn't do it - the reasons are many and varied. Doesn't matter, most of us on this forum know they are required to recapture "allowable" depreciation whether taken on not.
My question: Is there a way to take an accumulated effect of all such "missed" depreciation as a current year expense? This means "all" such depreciation, as several have suggested ways to partially recover the amounts.
Some ideas already offered on Geekgirl's thread:
An amended return can go back and re-elect, spreading the effect of the last three years. The filing of Form 3115 can give rise to a §481 adjustment whereby as many as four years can be lumped into the current year. Both of these are subject to the $25,000 loss limit and $150,000 loss phaseout for any and all years affected.
But none of the suggestions/discussions address the possibility of reclaiming ALL of the lost depreciation since inception. Is there a way to do it??
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