The Section 199 phased-in deduction for domestic producers has increased to 6% from 2007 through 2009, and will jump to 9% thereafter. It has an impact on a wide range of businesses, including U.S. manufacturing, production, growth, or extraction of tangible personal property, software development, and music recording; U.S. production of movies, television and video; U.S. production of electricity, natural gas and water; U.S. construction or substantial renovation of real property; and U.S. performance of engineering and architectural services.
CPAs in industry and in public practice need to understand changes made by the Tax Increase Prevention and Reconciliation Act of 2005 and the Tax Relief and Health Care Act of 2006 as well as the release of final Regulations in May 2006 and October 2006.
Objectives:Prerequisite: Basic knowledge of corporate income taxation
Value Aid! The DVD and manual include the text of Section 199, the 2005 Technical Corrections, IRS Notice 2005–14, the Section 199 Final Regulations, and Revenue Procedures 2006-22, 2006-42, and 2006-47. The DVD also includes the original Section 199 Proposed Regulations. A 2007 supplement available online includes coverage of Revenue Procedures 2007-34 and 2007- 35 and June 2007 Proposed Regulations.
In the video, Jan Skelton, J.D., LL.M., Principal in the Federal Tax Practice at Deloitte Tax LLP in Washington, DC, interviews Jody J. Brewster, J.D., LL.M., Partner at Skadden, Arps, Slate, Meagher & Flom, LLP in Washington, DC; Danielle E. Rolfes, CPA, J.D., LL.M., Associate at Ivins, Phillips & Barker in Washington, DC; and Michael J. Shehab, J.D., Deputy Service Line Leader of Production Activity Solutions at Deloitte Tax LLP in Detroit, MI.
*(168-min. video) The DVD disk contains the video presentation, a viewable copy of the Manual and a copy of each Section 199 document in the manual as well as the original Section 199 Proposed Regulations that can be viewed, saved and printed.Accepted for EA® credit.
Overview
Course Objectives
Introduction
The Internal Revenue Code Section 199 tax break for domestic producers in the American Jobs Creation Act of 2004 has been estimated to be worth $76 billion over the next 10 years - a phased-in deduction of 3% in 2005 and 2006, 6% from 2007 through 2009, and 9% in 2010 and thereafter. It will have an impact on a wide range of businesses, including U.S. manufacturing, production, growth, or extraction of tangible personal property, software development, and music recording; U.S. production of movies, television, and video; U.S. production of electricity, natural gas, and water; U.S. construction or substantial renovation of real property; and U.S. performance of engineering and architectural services.
On February 14, 2005, the IRS issued Notice 2005-14 to provide guidance on many aspects of Section 199.
On October 20, 2005, the Treasury issued Proposed Regulations under Section 199.
The Gulf Opportunity Zone Act of 2005, enacted into law on December 21, 2005, includes Technical Corrections to Section 199.
The Technical Correction changes are understood to be incorporated in the Proposed Regulations.
Course Components
The complete video-based course consists of:
Course Organization
This course is organized as follows.
Chapter 1
Overview of the Section 199 Deduction
Learning Objectives
After completing this chapter, you should be able to explain:
Introduction
This chapter provides a brief overview of Section 199. Later chapters will build on this foundation.
Section 199 provides a deduction for income attributable to domestic production activities, and is colloquially referred to as the “production deduction.” Section 199 generally provides a deduction equal to a percentage of income arising from certain production activities and applies in different manners to different industries and transactions.
The Proposed Regulations under Section 199 are complex and contain a number of nuances of critical importance.
Background
The American Jobs Creation Act of 2004 enacted on October 22, 2004 contemporaneously repealed the exclusion for extraterritorial income (the ETI regime) and created the Section 199 deduction. The ETI rules, in part, excluded extraterritorial income from the income of a United States manufacturer that exported those manufactured goods. The World Trade Organization (WTO) ruled that, like the preceding Foreign Sales Corporation (the FSC regime), the ETI rules were an illegal export subsidy that violated international trade agreements.
Faced with increasing European Union sanctions, Congress repealed the ETI rules. Concerned, however, that the repeal of ETI would adversely affect U.S. manufacturers, Congress created Section 199 to provide a new benefit to U.S. manufacturers.
Section 199 not only benefits many exporting companies that had benefited from the ETI regime, it also benefits many non-exporting companies that had not benefited from the regime. Because Section 199 applies whether or not a company exports, it is not an export subsidy and therefore is WTO-compliant.
Computing the Amount of the Section 199 Deduction
In General
Section 199 provides a deduction in the amount of a percentage of the lesser of Qualified Production Activities Income (QPAI) or taxable Income. QPAI also is referred to as “qualified income.”
The deduction is phased in as ETI benefits phase out. For tax years beginning in 2005 and 2006, the deduction is equal to 3% of a taxpayer’s income from domestic production activities. The percentage increases to 6% for years beginning in 2007 through 2009, and reaches 9% for tax years beginning in 2010 and thereafter.
Amount of the Deduction
| Year | Percentage of QPAI or Taxable Income |
| 2005 and 2006 | 3% |
| 2007, 2008, and 2009 | 6% |
| 2010 and thereafter | 9% |
When fully implemented, the 9% deduction will be equivalent to a rate reduction for corporate taxpayers in the maximum 35% marginal tax bracket of 3.15 percentage points on their income from domestic production activities.
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Example During 2005, ABC Company, a U.S. corporation (that is not part of an Expanded Affiliated Group (or EAG)), engages in activities that generate QPAI of $1,000, and reports taxable income of $1,500 before taking into account any allowable Section 199 deduction Before consideration of any limitations on the Section 199 deduction, ABC Company determines that its Section 199 deduction will be $30 (3% x (lesser of QPAI of $1,000 or taxable income of $1,500)). |
In the video, Jan Skelton, J.D., LL.M., of Deloitte Tax LLP interviews Jody J. Brewster, J.D., LL.M., of Skadden, Arps, Slate, Meagher & Flom, LLP; Danielle E. Rolfes, CPA, J.D., LL.M., of Ivins, Phillips & Barker; and Michael J. Shehab, J.D., of Deloitte Tax LLP.
* The DVD disk contains the video presentation and a viewable copy of each text exhibit that can be viewed, saved and printed.
** The Additional Manual is for group study training only. Unlike other formats, it has no exam answer sheet and cannot be used to earn self-study credit.
