Commercial Investment Real Estate July/August 2018 | Page 20

LEGAL BRIEFS IRS Audit Focus: Are You at Risk? As the IRS increases audit scrutiny of large land developers, best practice companies reduce risk by modeling accounting method options. by Diane Tinney A Dueling Accounting Methods Land developers for long-term housing development contracts sometimes use the completed contract method of accounting instead of the percentage of completion method. Under PoC, taxable income is recognized based on a contract’s cost to date when compared to the total estimated cost of the contract. Unlike PoC, CCM does not recognize revenue until the client completes and accepts the contract. CCM allows for a higher deferral of income, which results in deferral of taxes compared to PoC. This could result in tax deferrals of millions of dollars for large land developers. 18 July | August 2018 Examining CCM Prompting the current campaign, the IRS believes that some developers, particularly residential developers, have been using CCM incorrectly. For example, developers who gross $10 million annually can use CCM only under a home construction contract that extends beyond a single year. However, some developers are deferring all gains until the entire development is completed, not just the home construction projects. The overall objective of the IRS LB&I Land Developer CCM campaign is to ensure compliance with CCM account- ing standards. The IRS is taking a three-pronged approach to enforcing compliance: 1. Giving specialized training to revenue agents assigned to work on the issue; 2. Issuing warning letters to those deemed noncompliant; and 3. Following up on audits, when necessary. Given the IRS attention and approach to the issue, land developers must take proactive action to protect themselves. A wait-and-see approach is not a viable option; it could open the possibility of a costly audit. The Financial Executives Research COMMERCIAL INVESTMENT REAL ESTATE n Internal Revenue Service audit can be a terrifying, expensive proposition. For large land developers, an IRS campaign is examining the completed contract method of accounting for compliance risks. This IRS campaign is designed to ensure that land developers are complying with Internal Revenue Code Section 460, which states that they generally are required to report taxable income under the percentage of completion method.