Client is a calendar-year end C corporation using the accrual method of accounting. They filed their 2004 1120 return, which included roughly $300,000 in accounts receivable (which they included as income on that return).
They are considering electing to be treated as an S-corporation for 2005, and also considering switching to the cash method of accounting beginning with their 2005 return.
Under IRC Sec. 481, it appears that the $300,000 of accounts receivable as of 12/31/04 would be a negative adjustment (decreasing income).
However, it would appear that the 481 adjustment would then be treated as a built in gain (per Reg. 1.1374-4(b) and (d), because of the S-corp election).
The net effect of that would be the taxation of the $300,000 of accounts receivable twice (once while an accrual-method C-corporation, once via BIG tax @ 35% as an S-corporation), although there would be an offset of the $300,000 for the negative Sec. 481 adjustment on the S-corp return.
Is my understanding correct, or would the a/r somehow escape BIG tax?
They are considering electing to be treated as an S-corporation for 2005, and also considering switching to the cash method of accounting beginning with their 2005 return.
Under IRC Sec. 481, it appears that the $300,000 of accounts receivable as of 12/31/04 would be a negative adjustment (decreasing income).
However, it would appear that the 481 adjustment would then be treated as a built in gain (per Reg. 1.1374-4(b) and (d), because of the S-corp election).
The net effect of that would be the taxation of the $300,000 of accounts receivable twice (once while an accrual-method C-corporation, once via BIG tax @ 35% as an S-corporation), although there would be an offset of the $300,000 for the negative Sec. 481 adjustment on the S-corp return.
Is my understanding correct, or would the a/r somehow escape BIG tax?
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