tax research Accounting Software
Parker Pro Library
online tax research Parker Tax Pro Library tax research Like us on Facebook Follow us on Twitter View our profile on LinkedIn Find us on Pinterest
federal tax research
CPA Client Letter Samples
Accounting and tax
Tax Research Articles Tax Research Parker's Tax Research Articles Accounting Research CPA Client Letters Tax Research Software Client Testimonials Tax Research Software tax research


Tax Research Parker Tax Pro Library

Also see: Sample IRS Election Statement: Small Taxpayer Safe Harbor Election for Building Property.
             Sample IRS Election Statement: Election to Capitalize Repair and Maintenance Costs.

Tax Software

Sample IRS Election Statement: Annual De Minimis Safe Harbor Election Statement.

(Parker Tax Publishing March 14, 2015)

The 2013 final repair regulations added a de minimis safe harbor, to be elected annually by including a statement on the taxpayer's timely filed original federal tax return for the year elected. Under this provision, if a taxpayer elects to apply the de minimis safe harbor under Reg. Sec. 1.263(a)-1(f), the taxpayer must apply the safe harbor to all amounts paid in the tax year for tangible property that meet the requirements of the safe harbor, including amounts paid for materials and supplies that meet the requirements, other than rotable, temporary, and standby emergency spare parts that are subject to the election to capitalize, or rotable and temporary spare parts that are subject to the optional method of accounting for such parts (Reg. Sec. 1.263(a)-1(f)(3)(ii)).

If the taxpayer properly applies the de minimis safe harbor to amounts paid for property, then these amounts are not treated as capital expenditures under Reg. Sec. 1.263(a)-2(d)(1) or as amounts paid for materials and supplies under Reg. Sec. 1.162-3, and may be deducted under Reg. Sec. 1.162-1 in the tax year the amounts are paid, provided the amounts otherwise constitute an ordinary and necessary expenses incurred in carrying on a trade or business (Reg. Sec. 1.263(a)-1(f)(3)(iv)).

However, amounts paid for tangible property eligible for the de minimis safe harbor may, nonetheless, be subject to capitalization under Code Sec. 263A if the amounts paid for this tangible property comprise the direct or allocable indirect costs of other property produced by the taxpayer or property acquired for resale.

A taxpayer makes the election to take the de minimus safe harbor by attaching a statement to the taxpayer's timely filed original federal tax return (including extensions) for the tax year in which these amounts are paid. The statement must be titled "1.263(a)-1(f) de minimis safe harbor election" and include the taxpayer's name, address, taxpayer identification number, and a statement that the taxpayer is making the de minimis safe harbor election under Reg. Sec. 1.263(a)-1(f).

In the case of an S corporation or a partnership, the election is made by the S corporation or the partnership and not by the shareholders or partners.

In the case of a consolidated group filing a consolidated income tax return, the election is made for each member of the consolidated group by the common parent, and the statement must also include the names and taxpayer identification numbers of each member for which the election is made.

Sample Election Statement

Section 1.263(a)-1(f) De Minimis Safe Harbor Election

[Taxpayer Name]

[Taxpayer Address]

[TIN]

The taxpayer is hereby making the de minimus safe harbor election under Reg. Sec. 1.263(a)-1(f).

 

Disclaimer: This publication does not, and is not intended to, provide legal, tax or accounting advice, and readers should consult their tax advisors concerning the application of tax laws to their particular situations. This analysis is not tax advice and is not intended or written to be used, and cannot be used, for purposes of avoiding tax penalties that may be imposed on any taxpayer. The information contained herein is general in nature and based on authorities that are subject to change. Parker Tax Publishing guarantees neither the accuracy nor completeness of any information and is not responsible for any errors or omissions, or for results obtained by others as a result of reliance upon such information. Parker Tax Publishing assumes no obligation to inform the reader of any changes in tax laws or other factors that could affect information contained herein.

Parker Tax Pro Library - An Affordable Professional Tax Research Solution. www.parkertaxpublishing.com


Professional tax research

We hope you find our professional tax research articles comprehensive and informative. Parker Tax Pro Library gives you unlimited online access all of our past Biweekly Tax Bulletins, 22 volumes of expert analysis, 250 Client Letters, Bob Jennings Practice Aids, time saving election statements and our comprehensive, fully updated primary source library.

Parker Tax Research

Try Our Easy, Powerful Search Engine

A Professional Tax Research Solution that gives you instant access to 22 volumes of expert analysis and 185,000 authoritative source documents. But having access won’t help if you can’t quickly and easily find the materials that answer your questions. That’s where Parker’s search engine – and it’s uncanny knack for finding the right documents – comes into play

Things that take half a dozen steps in other products take two steps in ours. Search results come up instantly and browsing them is a cinch. So is linking from Parker’s analysis to practice aids and cited primary source documents. Parker’s powerful, user-friendly search engine ensures that you quickly find what you need every time you visit Our Tax Research Library.

Parker Tax Research Library

Dear Tax Professional,

My name is James Levey, and a few years back I founded a company named Kleinrock Publishing. I started Kleinrock out of frustration with the prohibitively high prices and difficult search engines of BNA, CCH, and RIA tax research products ... kind of reminiscent of the situation practitioners face today.

Now that Kleinrock has disappeared into CCH, prices are soaring again and ease-of-use has fallen by the wayside. The needs of smaller firms and sole practitioners are simply not being met.

To address the problem, I’ve partnered with a group of highly talented tax writers to create Parker Tax Publishing ... a company dedicated to the idea that comprehensive, authoritative tax information service can be both easy-to-use and highly affordable.

Our product, the Parker Tax Pro Library, is breathtaking in its scope. Check out the contents listing to the left to get a sense of all the valuable material you'll have access to when you subscribe.

Or better yet, take a minute to sign yourself up for a free trial, so you can experience first-hand just how easy it is to get results with the Pro Library!

Sincerely,

James Levey

Parker Tax Pro Library - An Affordable Professional Tax Research Solution. www.parkertaxpublishing.com

    ®2012-2017 Parker Tax Publishing. Use of content subject to Website Terms and Conditions.

IRS Codes and Regs
Tax Court Cases IRS guidance