Deductibility of business expenses funded by PPP loans (2024)

By Peter Diakovasilis, CPA, Long Island, N.Y.

Editor: Kevin D. Anderson, CPA, J.D.

Paycheck Protection Program (PPP) loans are eligible for forgiveness if the business uses the funds to pay for eligible items such as payroll, certain employee health care costs, interest on mortgage obligations, rent, and utility expenditures. Provided the applicable requirements are met, a borrower of a PPP loan can apply to the lender for all or a portion of the loan to be forgiven. One important issue is whether expenses paid for with PPP loans can be deducted as business expenses. This item traces the history of IRS guidance and, ultimately, congressional legislation on that topic.

IRS position on deductibility

When the PPP was created by the Coronavirus Aid, Relief, and Economic Security (CARES) Act, P.L. 116-136, it appeared Congress's intent was that any amount of a PPP loan that was forgiven would not be considered cancellation-of-debt (COD) income to the borrower (see CARES Act Section 1106(b)). However, because this section of the CARES Act is an "off-Code" provision, Sec. 61(a)(11) (which provides for the inclusion of discharged debt in gross income) and Sec. 108(a)(1)(B) (which provides for the exclusion of discharged debt from gross income when the taxpayer is insolvent) are not applicable as they relate to taxation of the forgiveness. As a result, the IRS took the position that otherwise deductible expenses that were paid with loan proceeds that were ultimately forgiven should be nondeductible, despite Congress's apparent intent.

The IRS communicated its position in Notice 2020-32, released on April 30, 2020. The IRS explained that the CARES Act did not address whether otherwise allowable expenses are still deductible if they are paid for with a PPP loan. The Service then reasoned that the forgiven amount is treated as a class of tax-exempt income, rather than as COD income under Sec. 61(a)(11). Therefore, the related expenditures under Secs. 162 and 163 should be governed by Sec. 265(a)(1) (which disallows the deductibility of expenses paid with tax-exempt income) to the extent that the covered loan is forgiven (up to the aggregate amount forgiven). Consistent with the purpose of Sec. 265, this treatment prevents a double tax benefit.

Many tax professionals and the AICPA believed that Notice 2020-32 was an incorrect interpretation of the law. Nonetheless, as a result of the IRS's position, some taxpayers were faced with substantial cash flow challenges related to expense deductibility, especially for tax years that ended before the tax year in which the loan was officially forgiven by the lender and, ultimately, by the U.S. Small Business Administration (SBA).

Notice 2020-32 also generated some confusion because it did not specify in which tax period the deduction for expenses should be reduced. Accordingly, questions arose as to whether the disallowance of deductions should be in the tax year the expense is paid/incurred or in the tax year in which the borrower is notified of the amount forgiven by the lender and/or the SBA. The IRS doubled down on its initial position under Notice 2020-32 by releasing Rev. Rul. 2020-27 on Nov. 18, 2020. The ruling confirmed that taxpayers may not deduct otherwise deductible expenses in the year the expenses are incurred if the taxpayer reasonably expects to receive forgiveness of the loan in 2021, even if the taxpayer did not submit a loan forgiveness application by the end of 2020.

Rev. Rul. 2020-27 addressed the timing issue while elaborating upon the IRS's position as outlined in Notice 2020-32. The two examples in Rev. Rul. 2020-27 indicated that any delay in SBA approval does not generate sufficient uncertainty at year end to avoid the expense deduction disallowance in the 2020 tax year. The IRS indicated that, to be able to deduct expenses paid with PPP loan funds, there must be persuasive evidence that a taxpayer has an adequate level of uncertainty by year end, such as that the taxpayer reasonably expected that it would not meet the qualifications for loan forgiveness or that the taxpayer simply did not intend to apply for forgiveness and ultimately would repay the PPP loan for other nontax reasons.

Simultaneously with the release of Rev. Rul. 2020-27, the IRS issued Rev. Proc. 2020-51, which provided a safe-harbor procedure for eligible taxpayers that had paid or incurred otherwise eligible PPP expenses during 2020, but who were denied loan forgiveness or who decided not to request loan forgiveness. The guidance under Rev. Rul. 2020-27 and Rev. Proc. 2020-51 caused many taxpayers to prepare for the worst and remit increased estimated tax payments as required under Secs. 6654 and 6655.

Congress intervenes

In late December 2020, Congress stepped in. The COVID-Related Tax Relief Act of 2020, enacted as part of the Consolidated Appropriations Act, 2021, P.L. 116-260, confirms that otherwise deductible business expenses paid out of PPP loans may be deducted for federal income tax purposes. In addition, the legislation makes clear that the borrower's tax basis and other attributes of the borrower's assets will not be reduced as a result of the loan forgiveness (since this is an off-Code provision unaffected by Sec. 108(b)). This legislation thus reversed the IRS's position on the deductibility of expenses paid using forgiven PPP loans.

In response to the legislation, the IRS released Rev. Rul. 2021-2 on Jan. 6, 2021, which withdraws its initial positions outlined under Notice 2020-32 and Rev. Rul. 2020-27. More specifically, Rev. Rul. 2021-2 confirms that no deduction will be disallowed, no tax attribute will be reduced, and no basis increase will be denied by reason of the exclusion from gross income of PPP loan amounts that are forgiven. Accordingly, taxpayers that incurred or paid PPP-eligible expenses may deduct the amounts in the year paid or incurred, depending on their overall method of accounting, and may consider the full amount of such expenses in computing any related tax attributes. Such attributes include but are not limited to the research-and-development tax credit, the work opportunity tax credit, and other employment-related credits.

Observation

The COVID-Related Tax Relief Act of 2020 applies to tax years ending after the date of the enactment of the CARES Act. Thus, taxpayers that had filed their tax returns without claiming a deduction for expenses allocable to PPP loan forgiveness should consider amending those returns to claim a deduction for expenses paid using forgiven PPP loan proceeds.

EditorNotes

Kevin D. Anderson, CPA, J.D., is a managing director, National Tax Office, with BDO USA LLP in Washington, D.C.

For additional information about these items, contact Mr. Anderson at 202-644-5413 or [email protected].

Contributors are members of or associated with BDO USA LLP.

Deductibility of business expenses funded by PPP loans (2024)

FAQs

Deductibility of business expenses funded by PPP loans? ›

The IRS indicated that, to be able to deduct expenses paid with PPP loan

PPP loan
The Paycheck Protection Program allows entities to apply for low-interest private loans to pay for payroll and certain other costs. A PPP loan amount is approximately equal to 2.5 times the applicant's average monthly payroll costs. Sometimes, an applicant may receive a second draw typically equal to the first.
https://en.wikipedia.org › wiki › Paycheck_Protection_Program
funds, there must be persuasive evidence that a taxpayer has an adequate level of uncertainty by year end, such as that the taxpayer reasonably expected that it would not meet the qualifications for loan forgiveness or that the taxpayer simply did ...

What are forgivable PPP expenses? ›

Paycheck Protection Program (PPP) borrowers may be eligible for loan forgiveness if the funds were used for eligible payroll costs, payments on business mortgage interest payments, rent, or utilities during either the 8- or 24-week period after disbursem*nt.

Is SBA PPP loan forgiveness taxable income? ›

Borrowers must meet requirements for PPP loan forgiveness

If taxpayers meet certain requirements, the loans are forgiven. Generally, forgiven loans are taxable as discharge of debt income. However, a taxpayer may exclude from income the cancelled amount of an eligible PPP loan.

What is the interest expense on a PPP loan? ›

Recording PPP Loans as Debt

Record their loan as a liability on their Statement of Financial Position, and. Record interest expense over the loan's life. This interest expense should be recorded at the stated 1% interest rate, not at market rates.

What percentage of PPP must be spent on payroll? ›

In order to get your PPP loan forgiven, you need to: Spend at least 60% of the funds on payroll. Spend the remaining 40% on eligible expenses.

What expenses are deductible for PPP loan forgiveness? ›

The ruling confirmed that taxpayers may not deduct otherwise deductible expenses in the year the expenses are incurred if the taxpayer reasonably expects to receive forgiveness of the loan in 2021, even if the taxpayer did not submit a loan forgiveness application by the end of 2020.

What is the 60 40 rule for PPP loan? ›

60/40 PPP Loan Forgiveness Requirement

The 60/40 rule states that 60% of your loan must be spent on eligible payroll costs. Any other non-payroll expenses that exceed 40% of your loan will not be eligible for forgiveness.

How is PPP loan forgiveness reported on a tax return? ›

Forgiven PPP loans are considered "Other Tax Exempt Income" for federal purposes and will be reported on Schedule K-1 box 16B (S-corporations) or 18B (partnerships). This amount increases the shareholder's or partner's basis. Enter the amounts on the Passthrough K-1's screen as they were reported on your client's K-1.

Are forgiven PPP loans being investigated? ›

THE SBA'S AUDITS OF FORGIVEN LOANS

In reaction to Congress and the media raising concerns about fraud within the PPP, the SBA has increasingly turned to post-forgiveness audits to review borrowers' eligibility for their loans.

Should PPP loan forgiveness be recorded as income? ›

Forgiveness of PPP loan proceeds should be recorded as income from continuing operations, as a separate line item. of loan forgiveness from the U.S. government is received.

What expenses are covered by PPP Round 2? ›

Funds can also be used to pay for mortgage interest, rent, utilities, worker protection costs related to COVID-19, uninsured property damage costs caused by looting or vandalism during 2020, and certain supplier costs and expenses for operations.

What is the PPP rent expense? ›

Remember, the PPP is intended to protect paychecks. At least 60% of your forgiven amount must be attributed to payroll or owner compensation replacement. If you spend your entire loan on rent, you won't qualify for any forgiveness.

What can PPP loan proceeds be used for? ›

You should use the proceeds from these loans on your: ● Payroll costs, including benefits; ● Interest on mortgage obligations, incurred before February 15, 2020; ● Rent, under lease agreements in force before February 15, 2020; and ● Utilities, for which service began before February 15, 2020.

What is the 75 percent rule for PPP? ›

For example, if a business gets a $20,000 PPP loan, they would need to spend at least $12,000—60% of the loan—on payroll. However, they spend only $9,000 on payroll. This is 75% of the minimum payroll cost required for full forgiveness so their forgiveness amount is 75% of the loan.

What happens if you don't spend 60% of PPP on payroll? ›

Failure to meet the 60/40 split

If you fail to spend 60% of your PPP funds on payroll-related costs, your loan forgiveness amount may be reduced. You may still be able to have the amount you do spend on payroll costs plus a qualifying amount spent on other approved expenditures forgiven.

What are eligible PPP non-payroll expenses? ›

Non-payroll

Business utility payments: Copies of invoices and receipts, canceled checks or account statements. Covered operations expenditures: Copy of invoices, orders or purchase orders paid, and receipts, canceled checks or account statements verifying eligible payments.

What makes your PPP loan forgivable? ›

Borrowers qualify for loan forgiveness if they use at least 60% of the funds for payroll costs between 8 and 24 weeks after the loan disbursem*nt date. A loan forgiveness application must be submitted before the maturity date of the loan, which is either two or five years from the date the loan originated.

What costs are eligible for PPP? ›

To be considered for full loan forgiveness, borrowers use at least 60% of their loan proceeds on payroll costs during the chosen Covered Period. This may include: Employee salaries and wages. Vacation, parental, family, medical or sick leave.

What can I use PPP funds for? ›

Small Business Paycheck Protection Program

This program provides small businesses with funds to pay up to 8 weeks of payroll costs including benefits. Funds can also be used to pay interest on mortgages, rent, and utilities.

What are covered operations expenditures for PPP forgiveness? ›

Covered operations expenditures: Copy of invoices, orders or purchase orders paid, and receipts, canceled checks or account statements verifying eligible payments.

Top Articles
Debt Consolidation: Loans Vs Programs--Which Is Best For You? (2021)
Why The British "Stiff Upper Lip" Might Be Costing You Money • Homely Economics
Lowe's Garden Fence Roll
Compare Foods Wilson Nc
Moon Stone Pokemon Heart Gold
Kaydengodly
Online Reading Resources for Students & Teachers | Raz-Kids
Craigslist Cars And Trucks For Sale By Owner Indianapolis
Practical Magic 123Movies
Aces Fmc Charting
The Pope's Exorcist Showtimes Near Cinemark Hollywood Movies 20
craigslist: south coast jobs, apartments, for sale, services, community, and events
David Packouz Girlfriend
J Prince Steps Over Takeoff
Www.paystubportal.com/7-11 Login
Bme Flowchart Psu
Craigslist Estate Sales Tucson
Zoebaby222
Tokioof
Signs Of a Troubled TIPM
Wordscape 5832
General Info for Parents
Bfg Straap Dead Photo Graphic
Immortal Ink Waxahachie
Illinois VIN Check and Lookup
Unterwegs im autonomen Freightliner Cascadia: Finger weg, jetzt fahre ich!
Libinick
Evil Dead Rise - Everything You Need To Know
Google Doodle Baseball 76
Governor Brown Signs Legislation Supporting California Legislative Women's Caucus Priorities
Talkstreamlive
12 Facts About John J. McCloy: The 20th Century’s Most Powerful American?
Piedmont Healthstream Sign In
Insidious 5 Showtimes Near Cinemark Southland Center And Xd
Nurofen 400mg Tabletten (24 stuks) | De Online Drogist
Isablove
Obsidian Guard's Skullsplitter
O'reilly Auto Parts Ozark Distribution Center Stockton Photos
Www Craigslist Com Shreveport Louisiana
Oreillys Federal And Evans
Best Workers Compensation Lawyer Hill & Moin
Trivago Myrtle Beach Hotels
Sunrise Garden Beach Resort - Select Hurghada günstig buchen | billareisen.at
Linda Sublette Actress
More News, Rumors and Opinions Tuesday PM 7-9-2024 — Dinar Recaps
Walmart Pharmacy Hours: What Time Does The Pharmacy Open and Close?
Nail Salon Open On Monday Near Me
Tripadvisor Vancouver Restaurants
Gamestop Store Manager Pay
Appsanywhere Mst
Loss Payee And Lienholder Addresses And Contact Information Updated Daily Free List Bank Of America
Latest Posts
Article information

Author: Kareem Mueller DO

Last Updated:

Views: 5743

Rating: 4.6 / 5 (46 voted)

Reviews: 93% of readers found this page helpful

Author information

Name: Kareem Mueller DO

Birthday: 1997-01-04

Address: Apt. 156 12935 Runolfsdottir Mission, Greenfort, MN 74384-6749

Phone: +16704982844747

Job: Corporate Administration Planner

Hobby: Mountain biking, Jewelry making, Stone skipping, Lacemaking, Knife making, Scrapbooking, Letterboxing

Introduction: My name is Kareem Mueller DO, I am a vivacious, super, thoughtful, excited, handsome, beautiful, combative person who loves writing and wants to share my knowledge and understanding with you.