MAGI for Purpose of the Premium Tax Credit Includes Social Security Benefits Excluded from Income Under a §86(e) Election
The Tax Court determined that a taxpayer who elects to exclude a lump sum payment of social security from gross income under IRC §86(e) nevertheless must include that amount in the taxpayer’s modified adjusted gross income (MAGI) for computing repayment of the advance premium tax credit under IRC §36B. The case of Johnson v. Commissioner, 152 TC No. 6, involved a taxpayer who had received just such a lump sum payment of social security in a year in which he had also received advanced premium tax credits to reduce his health insurance premiums.
IRC §36B provides for advanced payment of premium tax credits that are available to qualified individual purchasing insurance on health insurance exchanges. The advance credit is to be reconciled at the end of the year to the amount of credit the taxpayer qualifies for based on the taxpayer’s §36B MAGI. That reconciliation takes place on Form 8962, Premium Tax Credit, which is filed with the taxpayer’s individual income tax return.
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