Preparing for a complex future

Page 20

Massive U.S. tax relief act to combat economic fallout from COVID-19 A look at the new tax relief measures to help individuals affected by COVID-19 In view of the coronavirus (COVID-19) pandemic, a massive United States spending bill was signed into law on 27 March – the Coronavirus Aid, Relief, and Economic Security (CARES) Act. The act is primarily aimed at providing immediate liquidity to businesses and individuals. A brief summary of the corporate (and individual, where applicable) tax provisions is as follows.

Delay filing of and payment on federal income tax returns due 15 April • Previous law: Taxpayers are generally required to file their 2019 federal income tax returns and pay the required taxes on or before 15 April. • Change: The Internal Revenue Service (IRS) grants filing and payment relief for taxpayers who are affected by the pandemic (affected taxpayers). For an affected taxpayer, the due date for making 2019 federal income tax payments, 2020 first quarter federal estimated income tax payments (including tax payments on selfemployment income), and filing federal income tax returns due on 15 April is automatically postponed to 15 July. The start date for calculating interest and penalties for late filing or late payment and the due date for applying for further extension are accordingly postponed.

Modification of net operating losses rules • Previous law: For net operating losses (NOL) arising in a taxable year after 31 December 2017, a prior law had generally: (1) eliminated the two-year NOL carryback period and allowed the NOL carryforward period to be indefinite; and (2) limited the NOL deduction to 80 percent of the taxable income for the taxable year. April 2020

• Change: The act allows for NOLs arising in a taxable year beginning after 31 December 2017 and before 1 January 2021 to be carried back to each of the five taxable years preceding the taxable year in which such loss arose, i.e. for calendar year taxpayers, this will be 2018, 2019, and 2020. And, the 80 percent-limitation is repealed for taxable years beginning before 1 January 2021. This would mean potential refunds of taxes paid in the relevant prior years at a higher tax rate.

Accelerating refunds for prior-year alternative minimum tax credits • Previous law: A prior law had repealed the corporate alternative minimum tax (AMT) but enabled corporations to recover previously paid AMT against the regular tax liability (or, if the AMT paid is in excess of the regular tax liability, 50 percent of the excess is a refundable credit) after 2017 and before 2022. • Change: Increasing the cash refund attributable to the AMT refundable credit amount (the excess of the credit over the regular liability) from 50 percent to 100 percent for 2019.

Enhanced business interest expense deductibility • Previous law: Certain taxpayers are subject to a limitation of business interest deduction equal to the amount of business interest income plus a 30 percent-threshold of its adjusted taxable income (ATI). • Change: The act increases the 30 percent-threshold on ATI to 50 percent for taxable years beginning in 2019 and 2020. Taxpayers are permitted to elect not to use the increased threshold. Also, taxpayers can elect to use their 2019 ATI as ATI for 2020. This new rule may potentially increase the amounts of NOLs generated in these taxable years

and benefit from the special five-year NOL carryback provision to obtain refunds of taxes paid in the relevant prior years at a higher tax rate. Aside from the above, the act includes other tax provisions that could be of interest to taxpayers, e.g. enhanced charitable contribution deductibility for corporations and individuals making qualified cash contributions, 100-percentbonus-depreciation for certain qualified improvement properties placed in service after 31 December 2017, a new employee retention credits for employers who are compelled to close their business due to the pandemic but will continue to pay their employees, recovery rebates in the form of direct cash payments for U.S. individuals (subject to phase-outs at certain income levels), receipt of “coronavirus distributions” from retirement plans without surcharge, etc.

Important note The full text of act is 880 pages in length. It is therefore important to note that the above is a highly simplified summary of some fairly complex provisions and taxpayers are strongly advised to consult their qualified U.S. tax advisors as to how these (and other) provisions could impact them before any action is taken with respect to any provision in the act. Note: This article was published on Hong Kong General Chamber of Commerce’s Coronavirus Business Help Corner on 31 March.

This article is contributed by Patrick Yip, Vice Chair, and Jennifer Shih, Tax Director of Deloitte China 18


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29min
pages 73-92

November 2020 An overview of the OECD’s Base Erosion and Profit Shifting 2.0 Pillar Two blueprint

10min
pages 67-69

December 2020 Examining the new DIPN covering ship leasing and management tax concessions

11min
pages 70-72

November 2020 An overview of the OECD’s Base Erosion and Profit Shifting 2.0 Pillar One blueprint

11min
pages 64-66

October 2020 The interaction of the accounting standards with the tax laws

10min
pages 61-63

October 2020 Views exchanged during the 2020 annual meeting with the IRD

9min
pages 58-60

October 2020 Leadership Profile: Moving on up Curtis Ng, Regional Tax Partner-in-Charge, Northern Region, at KPMG China

11min
pages 52-57

September 2020 Upfront lump sum spectrum utilization fees held as capital in nature and not deductible

8min
pages 50-51

September 2020 Roundtable discussion: Rules are changing: Will Hong Kong stay competitive? Experts discuss tax strategies at the Institute’s virtual Annual Taxation Conference

14min
pages 44-49

August 2020 Hong Kong revises DIPN on APAs to help manage tax uncertainties

9min
pages 40-42

September 2020 Proposed tax concession for carried interest

4min
page 43

August 2020 IRD issues revised practice note explaining the tax treatment of financial instruments under HKFRS 9

9min
pages 38-39

July 2020 A new limited partnership fund regime for Hong Kong

3min
page 35

July 2020 A summary of the taxation of offshore indirect transfers toolkit

11min
pages 32-34

June 2020 Taxation of charities

8min
pages 30-31

June 2020 Roundtable discussion: Navigating China’s tax system Experts discuss China tax matters at the China Taxation Conference

15min
pages 24-29

April 2020 IRD issues guidance on cryptocurrency taxation

10min
pages 16-17

May 2020 Revised DIPN 39 raises controversies over an apparently inconsistent application of the source principles

10min
pages 21-23

March 2020 Paying taxes in China

9min
pages 13-15

April 2020 Massive U.S. tax relief act to combat economic fallout from COVID-19

3min
page 20

February 2020 Economic substance law – the British Virgin Islands

9min
pages 10-12

Foreword

2min
page 3

January 2020 Court of Final Appeal decision on employee payments

10min
pages 4-6
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