Question
The Tax Cuts and Jobs Act of 2017 enacted revisions to the Sec. 163(j) limitation on deductible interest expense for tax years beginning after 12/31/2017.
The Tax Cuts and Jobs Act of 2017 enacted revisions to the Sec. 163(j) limitation on deductible interest expense for tax years beginning after 12/31/2017. Assume the following facts:
USA Co., a corporation organized in the U.S., reflected total U.S. federal taxable income of $85,000,000 for the 2019 tax year. Components of U.S. federal taxable income include: interest income of $1,500,000, tax depreciation of $14,500,000, tax amortization of $3,000,000 from Sec. 197 intangibles recently acquired and utilization of a 2015 federal net operating loss carryforward of $2,100,000. USA Co.s 2019 U.S. federal taxable income also included a deduction for interest expense of $55,200,000 on debt to related party and third-party lenders.
Using the facts provided above for Question #1, compute the following:
- Adjusted Taxable Income as defined in Sec. 163(j),
- USA Co.s interest expense deduction allowed under Sec 163(j) for the 2019 tax year, and
- the disallowed business interest expense carryforward under Sec. 163(j) available for future tax years.
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