JacobsReport
on International Financial Planning
The
JacobsReport
is a free email newsletter that will discuss investment, business, tax
and financial planning in an international context. Reports will be
issued
as the author's work schedule permits, but will usually be issued on a
weekly schedule.
Panama
S.A. Owning Real Estate
QUESTION: As far as I understand, a Panama S.A.
corporation can not file 8832 to be a disregarded entity and is hence
subject to ordinary income taxes on generated income. However, I can't
seem to find tax information regarding passive real estate holdings in
an S.A. If an S.A. only owns one property and that particular property
is sold by means of selling all shares of the S.A. to a third party,
what are the tax consequences?
REPLY: The short-short answer is that gain on
the sale of stock of a controlled foreign corporation is generally
treated as ordinary income to the extent of any acccumulated and tax
deferred earnings and profits of the corporation.
But, rental income from
passive real estate is subject to current taxation by certain U.S.
shareholders of the S.A. corporation and the income on which taxes are
paid is added to the cost (basis) to compute the gain or loss on the
sale of the stock of the corporation. If the gain exceeds the adjusted
tax cost (basis), and meets the holding period requirements for
long term capital gains, the gain should be eligible for the reduced
tax rate on long term gains.
This assumes that the S.A.
corporation is a controlled foreign corporation and that all of the
income of the S.A. corporation is subject to tax by the shareholders
under the rules for subpart F income in tax code sections 951 through
965.
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Copyright 2007, Vernon K. Jacobs # 432, 2/9/07
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Information in the Jacobs Report is educational in
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