If you
have been using the LIFO inventory method, our firm wants to make sure that you
are aware of the LIFO recapture income that will be triggered by converting to
S corporation status. We would be happy to help you compute what the tax on
this recapture would be and to see what planning steps might be taken to minimize
it.
A
corporation reports a lower amount of taxable income under LIFO than it would
have under FIFO because the inventory taken into account in calculating the
cost of goods sold under LIFO reflects current costs, which are usually higher.
This benefit of LIFO over FIFO is equal to the difference between the LIFO
value of inventory and the higher value it would have had if the FIFO method
had been used. In effect, the tax law treats this difference as though it were
profit earned while the corporation was a C corporation. To make sure there's a
corporate-level tax on this amount, it must be “recaptured” into income when
the corporation converts from a C corporation to an S corporation. Also, the
recapture amount will increase the corporation's earnings and profits, which
can have adverse tax consequences down the road.
There
are a couple of rules that soften the blow of this recapture tax somewhat. The
increase in tax imposed on the C corporation in its
final tax year because of the LIFO recapture may be paid over a four-year
period. And, the basis of the corporation's inventory will be increased by the
amount of income recognized. So, the net effect may be one primarily of
timing—because of the basis increase, the corporation may realize less income in
later years, though only if there are decrements in the adjusted LIFO layer.
If you need help gauging your
exposure to the LIFO recapture tax and would welcome hearing strategies for
reducing it, please give our firm a call.