Guidance and Multiple Options Given for Taxpayers Impacted by Retroactive Reinstatement of Depreciation and §179 Related Tax Provisions in PATH
Congress’ recent penchant for letting bonus depreciation expire only to be retroactively reinstated nearly a year later has created issues for many non-calendar year taxpayers. When their returns are filed assets acquired after January 1 of the year in question are not eligible for bonus depreciation. However when Congress retroactively extends the application of IRC §168(k) these returns become “erroneous” as filed since bonus depreciation must be used unless the taxpayer elected not to use bonus.
In Revenue Procedure 2016-48 the IRS gives guidance to taxpayers who find they have such “erroneous” returns already on file with the agency due to the passage late last year of the Protecting Taxpayers Against Tax Hikes Act of 2015 (PATH).
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