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Started a LLC business with another partner in 2013 as a sleeping partner. Invested $45k. Sold partnership interest to the other partner in 2016 for $80k. No distributions or any contribution during these years. 3 years K-1 section shows like this...
$65k 2013 Capital contributed
-$5k - 2013 loss
- $10k - 2014 loss
+11k - 2015 Gain
+15k - 2016 Gain
-76k - 2016 Distribution
0.00 - 2016 Ending Capital
Base on the above calculation, is my partnership basis at $76k and ordinary gain at $11k? I assume the zero ending capital is not my basis? Please advise.
I don't know how the CPA came up with $65k contributed capital and Distribution at $66k when I sold it for $80k. Does it matter with the actual differences? I can't possibly use my numbers now since those were reported back 3 years ago. I never pay attention to all these numbers until I try to figure out my partnership basis.
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Thanks for the response. I will provide some commentary and direction:
Thanks for the response. I will provide some commentary and direction:
Have a related question, trying to find where best to post....
Topic: LLC Capital Account – Impact on FMV of interest, Tax Basis in Year of Sale of Interest
Situation:
Example:
Questions:
before the sale you should have contacted a tax advisor. things may be complicated for both the buyer and seller. the seller would be allocated income through the date of sale and that would include any income/loss from that pass-thru entity. if the starting tax basis was $50K it would go up by the allocated income and down by any distributions before the date of sale. but wait there could be .
IRC Section 751 Treatment of Hot Assets (the partnership would need to report this on the sellers k-1)
The linchpin of taxing transfers of partnership interests is IRC Section 751. Under IRC Section 741, when a partner sells his interest, he is entitled to capital gain treatment, except as provided in IRC Section 751. Under IRC Section 731, when a partner receives a partnership distribution in liquidation of his interest, he is entitled to capital gain treatment, except as provided in IRC Section 751. Regarding sales of partnership interests to third parties, IRC Section 751 is pretty straightforward. But regarding sales of partnership interests back to the partnership, IRC Section 751 can get a little intricate.
Sale of Partnership Interest
When a partner sells his partnership interest to anyone other than the partnership, the partner is entitled to capital gain or loss treatment, except with respect to so-called "hot assets." "Hot assets" are "unrealized receivables" and "inventory items" as defined under IRC Section 751. These are basically ordinary income producing assets, such as accounts receivable not already recognized as income, LIFO reserves, appreciated inventory, and depreciation recapture. Thus, unlike the seller of corporate stock, a selling partner's tax
treatment depends upon the underlying partnership assets.
the buyer also faces tax issues as to where to properly allocated the purchase price above the tax basis of what he's buying.
@Anonymous Thank you so much! Makes sense on the tax treatment, will need to continue to think through the details.
Quick follow up: If two equal partners in an LLC each have $50,000 in their capital account and one partner sells to the other at an agreed upon valuation of $500,000 for the 50%. Does the selling partner receive $500,000 for the FMV of their interest AND the $50,000 in their capital account?
If the $500k valuation is based on the go-forward earnings of the business... the valuation is going to be $500k whether the partner takes out his $50k or leaves it in the business.
We are trying to determine if the selling partner should walk away with $500k or $550k.
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