Summary
Rev. Proc. 2008-65 clarifies the effects of making the Section 168(k)(4) election to forgo additional first year depreciation and accelerate the pre-2006 research and alternative minimum tax credits, the property eligible for the election, and the computation of the amount by which the business credit limitation under Section 38(c) and alternative minimum tax credit limitation under Section 53(c) may be increased if the election is made.
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Extract
Rev. Proc. 2008-65
26 CFR 1.168(k)-l: Additional first year depreciation deduction.
(Also: §§ 38, 41, 52, 53, 168, 6401.)SECTION 1. PURPOSEThis revenue procedure provides guidance under § 3081 of the Housing and Economic Recovery Act of 2008, Pub. L. No. 110-289, 122 Stat. 2654 (July 30, 2008) (Housing Act). Section 3081(a) of the Housing Act amends § 168(k) of the Internal Revenue Code by adding § 168(k)(4), allowing corporations to elect not to claim the 50-percent additional first year depreciation for certain new property acquired after March 31, 2008, and placed in service generally before January 1, 2009, and instead to increase their business credit limitation under § 38(c) or alternative minimum tax (AMT) credit limitation under § 53(c). This revenue procedure clarifies the rules regarding the effects of making the § 168(k)(4) election, the property eligible for the election, and the computation of the amount by which the business credit limitation and AMT credit limitation may be increased if the election is made. The Internal Revenue Service (1RS) and Treasury Department intend to publish future guidance regarding the time an...See the full content of this document
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