- This new ruling allows taxpayers to elect a 3, 4, or 5-year net operating loss (NOL) carryback instead of a normally 2-year carryback.
- The election applies to an applicable NOL, which is an NOL for a taxable year ending after December 31, 2007, and beginning before January 1, 2010.
- The revenue procedure tells taxpayers the time and manner for making the election if the taxpayer (1) has not claimed a deduction for an applicable NOL; (2) previously claimed a deduction for an applicable NOL; or (3) previously filed an election to forgo the NOL carryback.
If eligible, an owner request a refund by using either
Form 1045 ( Application for Tentative Refund) or
Form 1139 ( Corporation Application for Tentative Refund) or Form (normally refunds are issued with 45 days).
For more details see link to IRS document ( http://www.irs.gov/pub/irs-drop/rp-09-52.pdf )
YOU MAY ASK: Question: What does this have to do with Cost Segregation?
Answer: Well cost segregation provides missing and accelerated depreciation. Accelerated depreciation simply
LOWERS your taxable income. By Lowering your taxable income you KEEP more money and do not give it to the government!
You also benefit because cost segregation goes back to time of acquisition and identifies any depreciation you "should" have taken and make them available THIS YEAR! That lowered income in addition to the NOL carryback can mean more money in your pocket.
NOTE: always consult your Accountant, CPA or Financial Adviser for Tax Advice and strategy, but know that these weapons are available to you to come out on the winning side of things.But make sure you have that adviser include us ( Cost Segregation Advisor ), as we will act as that weapon in the area of cost segregation...because we will know more on this topic than most.
Our added value includes a FREE analysis of your property and tell you UPFRONT the expected tax savings along with a ROI that should truly impress.
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