Abstract

 
 

Footnotes (278)



 


 



A Field Guide to Cancellation of Debt Income


Daniel L. Simmons


University of California, Davis - School of Law

Martin J. McMahon Jr.


University of Florida - Levin College of Law

August 31, 2009

The Tax Lawyer, Vol. 63, p. 415, Winter 2010
UC Davis Legal Studies Research Paper No. 195
University of Florida Levin College of Law Research No. 2009-33

Abstract:     
The United States is awash in a sea of debt. In the midst of the most severe recession since the Great Depression, loan delinquencies and charge-offs are at levels heretofore unknown in the modern financial era. Every loan charge-off and mortgage foreclosure has tax consequences. While the creditor most often claims a bad debt deduction or business related loss, the debtor generally must recognize gross income and pay income taxes on an amount roughly equal to the creditor’s loss, unless a special exception applies to exclude the debt relief from income. This article deals with the tax consequences to the debtor of the discharge of a debt for less than full payment. It first explain the origins and rationale for the rule, now codified in § 61(a)(12), that requires the inclusion of '[i]ncome from discharge of indebtedness.' The article then examines the various events that trigger recognition of income under § 61(a)(12). Following that discussion, the article deals with the manner in which the amount of income from discharge of indebtedness is computed. This part of the article also discusses the tax consequences to a business entity that issues an equity interests to a creditor to satisfy a debt. Finally, the article explores the myriad of statutory rules in §108 that permit nonrecognition income from discharge of indebtedness under particular circumstances, and the various ancillary consequences that follow from nonrecognition. Throughout, the article explores the relationship of income from discharge of indebtedness to realization of gain from the transfer of property to satisfy a debt by contrasting the tax consequences of transfers of property to discharge a debt with the consequences of discharge of a debt for less than full payment.

Number of Pages in PDF File: 56

working papers series


Download This Paper

Date posted: September 1, 2009 ; Last revised: April 22, 2010

Suggested Citation

Simmons, Daniel L. and McMahon, Martin J., A Field Guide to Cancellation of Debt Income (August 31, 2009). The Tax Lawyer, Vol. 63, p. 415, Winter 2010; UC Davis Legal Studies Research Paper No. 195; University of Florida Levin College of Law Research No. 2009-33. Available at SSRN: http://ssrn.com/abstract=1465002 or http://dx.doi.org/10.2139/ssrn.1465002

Contact Information

Daniel L. Simmons
University of California, Davis - School of Law ( email )
Martin Luther King, Jr. Hall
Davis, CA 95616-5201
United States
(530) 752-2757 (Phone)
Martin James McMahon Jr. (Contact Author)
University of Florida - Levin College of Law ( email )
P.O. Box 117625
Gainesville, FL 32611-7625
United States
352-273-0931 (Phone)
352-392-7647 (Fax)
Feedback to SSRN (Beta)


Paper statistics
Abstract Views: 4,277
Downloads: 1,230
Download Rank: 6,544
Footnotes:  278

© 2013 Social Science Electronic Publishing, Inc. All Rights Reserved.  FAQ   Terms of Use   Privacy Policy   Copyright
This page was processed by apollo1 in 0.407 seconds