Showing posts with label tax losses. Show all posts
Showing posts with label tax losses. Show all posts

Tuesday, November 30, 2010

Tax Court Disagrees with IRS on Loss Claim

After a ten year long battle, the U.S. Tax Court has reversed an IRS decision to deny a tax loss claimed by a company that bought a manufacturing plant from Nortel. The court issued is decision earlier this month (November 8).

According to CFO.com, the case involved a so-called basis bump transaction, designed to provide a U.S. taxpayer with a stepped-up basis in assets without the usual cost associated with such a phenomenon. Indeed, the cost is a U.S. tax imposed tied to the transferor of the assets.

    In a case of first impression, the Tax Court ruled that such a transaction ought to be "respected" for tax purposes. The case facts are as follows: On May 28, 1998, Canadian Parent (CP) and Northern Telecom Inc. (Nortel) executed an asset purchase agreement with respect to a property owned by Nortel, namely, the Creedmoor manufacturing facility. Pursuant to the agreement, CMAC-I, a Canadian subsidiary of CP, was authorized to purchase the inventory of the Creedmoor facility. On July 2, 1998, CMAC-I, using working capital and borrowed funds, paid Nortel $12.1 million for the inventory. On the same date, Nortel executed a bill of sale and assignment providing for the sale of its rights and title to — and interest in — the inventory to CMAC-I.

    On July 7, 1998, CMAC-I borrowed $5.4 million and CMAC-GP, a CP affiliate, borrowed a total of $46.2 million. On that same date, CMAC-I pledged the inventory of the Creedmoor facility as security for payment of the $51.6 million in liabilities (incurred by CMAC-I and CMAC-GP).

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