I have a similar situation...
I have a client who formed an S corporation about 2 years ago. It has incurred large losses and the sole shareholder's capital or loan is now up to approx $800,000.
I've just completed the first year return and am not sure if the money that has been injected should be classified as loan or capital. I have already filed the return but then was wondering about the treatment.
Treatment as a loan will reduce capital for franchise tax purposes and is the primary reason I classified this as a loan. I didn't calculate any imputed interest - should this be done for the first year? The corporation is a cash basis taxpayer so how is imputed interest handled?
In 2006 the corp has sold some fixed assets (no big gains but corp now has cash). The shareholder may want to take some of this cash out.
Considering this what would be the best treatment for the money going in? I fear that if the shareholder treats the funds going in as as a loan that it will be partially taxed on withdrawl due to past loan basis reduction. Is is possible to separate these notes out on annual basis and therefore reduce her basis on her 2005 loans but then have full basis on any 2006/07 loans?
Can capital be withdrawn at any time?
Thanks for any input, this has me stumped. I've read a lot of discussion about this issue but am still not sure what scenario is best.
Carolyn
I have a client who formed an S corporation about 2 years ago. It has incurred large losses and the sole shareholder's capital or loan is now up to approx $800,000.
I've just completed the first year return and am not sure if the money that has been injected should be classified as loan or capital. I have already filed the return but then was wondering about the treatment.
Treatment as a loan will reduce capital for franchise tax purposes and is the primary reason I classified this as a loan. I didn't calculate any imputed interest - should this be done for the first year? The corporation is a cash basis taxpayer so how is imputed interest handled?
In 2006 the corp has sold some fixed assets (no big gains but corp now has cash). The shareholder may want to take some of this cash out.
Considering this what would be the best treatment for the money going in? I fear that if the shareholder treats the funds going in as as a loan that it will be partially taxed on withdrawl due to past loan basis reduction. Is is possible to separate these notes out on annual basis and therefore reduce her basis on her 2005 loans but then have full basis on any 2006/07 loans?
Can capital be withdrawn at any time?
Thanks for any input, this has me stumped. I've read a lot of discussion about this issue but am still not sure what scenario is best.
Carolyn
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