Good morning and please excuse my long post - I have been a lurker for years, and hope that I am including all info up front to support my questions. So here's the situation - A client has a PTP with a negative ending capital account under the "tax basis" on Part L of schedule K-1, from 2011 - the first year the ending basis was below zero. Losses in 2012 and 2013 created higher negative tax basis "ending capital account" in the respective years. More facts:
1. Client had no liabilities or contributions to increase his basis over any of the years of ownership
2. I have done the calculations from the beginning of his ownership (2007) and agree that his basis = the "tax basis capital account" Part L of the K-1
3. In each of 2011, 2012, and 2013, distributions were made: 2011 $5496 ; ending cap = -3646 ; 2012 $5820; ending cap -12,095; 2013 $6312; ending cap = -22,517.
4. No adjustments were made on 2011 or 2012 returns to bring the cap account to zero. (Form 4797, part 2, line 10 should have claimed ordinary income to bring the tax basis cap account to zero - or to claim some distribution amount as ordinary income - at respective year ends?)
So here are my questions:
1. I think the best course of action is to amend the personal returns for 2011 and 2012 (2013 is on extension now), but the situation is more complicated than just these facts, and it may not be able to happen... is there another way?
2. If amended, 2011 should show what amount of ordinary income 3646? or 5496? And is the 4797, part 2, line 10 really where it goes?
3. If I wait until 2013 to correct this, what amount should be claimed - I think it is the sum of the distributions - 5496+5820+6312 =17,628 - but that still does not give a zero or positive basis, either at year end 2012 or 2013
4. Because the basis is less than zero, I think all future losses are not deductible, unless the client contributes more $ to the PTP - and if he doesn't, carryforward losses will go away once he sells all of his PTP shares - so at risk limits and passive limits don't even apply for these years, correct?
5. If there are at-risk and/or passive losses which are suspended from years prior to 2011, they will be allowed at the time of sale, correct?
If you have slogged through this whole post, I thank you! And if you can help me with my questions, I will thank you even more.... I have a number of sources of information that I have been reading, but without a comprehensive example, I am getting lost in the theory and can't figure out how to apply what I have learned ....
1. Client had no liabilities or contributions to increase his basis over any of the years of ownership
2. I have done the calculations from the beginning of his ownership (2007) and agree that his basis = the "tax basis capital account" Part L of the K-1
3. In each of 2011, 2012, and 2013, distributions were made: 2011 $5496 ; ending cap = -3646 ; 2012 $5820; ending cap -12,095; 2013 $6312; ending cap = -22,517.
4. No adjustments were made on 2011 or 2012 returns to bring the cap account to zero. (Form 4797, part 2, line 10 should have claimed ordinary income to bring the tax basis cap account to zero - or to claim some distribution amount as ordinary income - at respective year ends?)
So here are my questions:
1. I think the best course of action is to amend the personal returns for 2011 and 2012 (2013 is on extension now), but the situation is more complicated than just these facts, and it may not be able to happen... is there another way?
2. If amended, 2011 should show what amount of ordinary income 3646? or 5496? And is the 4797, part 2, line 10 really where it goes?
3. If I wait until 2013 to correct this, what amount should be claimed - I think it is the sum of the distributions - 5496+5820+6312 =17,628 - but that still does not give a zero or positive basis, either at year end 2012 or 2013
4. Because the basis is less than zero, I think all future losses are not deductible, unless the client contributes more $ to the PTP - and if he doesn't, carryforward losses will go away once he sells all of his PTP shares - so at risk limits and passive limits don't even apply for these years, correct?
5. If there are at-risk and/or passive losses which are suspended from years prior to 2011, they will be allowed at the time of sale, correct?
If you have slogged through this whole post, I thank you! And if you can help me with my questions, I will thank you even more.... I have a number of sources of information that I have been reading, but without a comprehensive example, I am getting lost in the theory and can't figure out how to apply what I have learned ....
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