The allocation method selected should be applied consistently and should be disclosed if material.Related to Existing Treasury Stock Transactions If multiple different repurchases and issuances have occurred and the excise tax has been recorded both in equity and the income statement, an entity should allocate the reduction of the excise tax liability between equity and the income statement upon issuing the stock using a reasonable allocation method. For example, if the excise tax was initially recognized as part of the cost basis of treasury stock, any reduction to the excise tax liability should be recognized through an adjustment to the treasury stock’s carrying value rather than in the income statement. Any reduction in the tax liability due to a subsequent stock issuance, or an event giving rise to an exception, that occurs within a tax year should be recorded in the period of such stock issuance or event giving rise to an exception.Īny reduction in the previously recognized excise tax liability due to issuances or events giving rise to exceptions should be recognized through the same line item affected by initially recognizing the excise tax liability. The repurchase of liability-classified corporate stock should be accounted for using the guidance on extinguishing a liability in ASC 405, Liabilities. Any costs associated with the extinguishment of a liability through a repurchase transaction would be a component of the gain or loss realized upon extinguishing the liability and recognized in the income statement.Įxcise tax should be recognized in the period incurred (that is, when the repurchase occurs). In other words, the excise tax would be considered in the cost of the repurchased stock recognized in equity. As such, the excise tax would be recorded as an incremental cost to repurchase the treasury shares, with an offsetting tax liability recognized.Īccounting for an excise tax incurred to repurchase corporate stock that is classified as temporary equity would follow the same guidance used to account for an excise tax incurred to repurchase corporate stock that is classified as permanent equity. This guidance can be applied by analogy to treasury stock transactions, as noted in AICPA Technical Questions and Answers 4110.09, which states that costs associated with the acquisition of treasury stock may be added to the cost of the treasury stock. GAAP requires entities to classify issued and outstanding corporate stock on the balance sheet in one of three ways:Īccording to SEC Staff Accounting Bulletin (SAB) Topic 5.A, which is codified in the guidance on other assets and deferred costs in ASC 340-10-S99-1, specific incremental costs directly attributable to a securities offering may be deferred and charged against the gross proceeds of the offering in equity. As a result, the balance-sheet classification of the corporate stock prior to it being repurchased governs the accounting for the excise tax. We believe that the excise tax should be included in the cost of the repurchase of the corporate stock transaction. GAAP does not include explicit guidance on accounting for taxes that are not considered taxes on income. Since the excise tax is not based on income, it is not within the scope of ASC 740, Income Taxes. The IRS and Treasury Department recently released Notice 2023-2 to provide initial guidance on implementing the new excise tax. Among other things, the Inflation Reduction Act of 2022 imposes a 1 percent excise tax on “net repurchases” (that is, certain purchases minus certain issuances) of corporate stock made within a tax year beginning after Dec.
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