NJ Business Alternative Income Tax (BAIT) By Michael Brown, CPA - Prager Metis (2024)

When Governor Murphy signed the Pass-Through Business Alternative Income Tax (“BAIT”) into law, it allowed pass-through entities to elect to pay tax on behalf of the owner’s share of distributive proceeds. The owner may then claim a refundable tax credit on their return for the amount of tax paid by the pass-through entity on their share of distributive proceeds. Pass-through entities (“PTEs”) are S Corporations, multi-member LLCs, and partnerships. Single-member LLCs and Sole Proprietorships do not qualify for the NJ BAIT election.

The NJ BAIT beneficially allows business owners to deduct the state tax liability connected with their pass-through income on their federal pass-through entity tax return. This was seen as a true workaround for the State and Local Taxes (“SALT”) limitation. On November 9, 2020, the Internal Revenue Service (“IRS”) substantiated this by its issuance of Notice 2020-75, indicating that certain entity-level taxes imposed on pass-through entities are not subject to the $10,000 SALT limitation of their owners. To receive the benefits of the BAIT, a PTE must make an annual election to be taxed under the entity-level regime.

Along with all the good this did, it created even more confusion for Practitioners and Taxpayers alike. For instance, the NJ BAIT tax was computed on Federal Distributive Proceeds and did not follow New Jersey Gross Income Tax law. Another issue occurs if you have an interest in a lower tier entity via another LLC and it made the NJ BAIT payment. The payment only flows as a refundable tax payment to the higher entity level. The higher tier entity would then need to make an election and pay in the BAIT tax in order for its shareholders/partners to receive the same benefit. The end result is that the shareholders/partners of the upper-level entity are unable to utilize the NJ BAIT credit and must wait for a refund from the state.

For 2021, the New Jersey Division of Taxation has modified their interpretation of “distributive proceeds” to mirror the reporting of partnership income and S corporation income for New Jersey Gross Income Tax purposes. The pass-through entity will complete its Members Directory using each member’s NJK-1 New Jersey sourced income amounts. In addition, for tax year 2021, an S corporation has the option to use three-factor formula (Sales, Payroll & Property) on NJ-NR-A for purposes of the BAIT. They also added an option to apply an overpayment to the following tax year. Under the previous rules, any overpayment needed to be refunded.

Effective for NJ BAIT filings starting on January 1, 2022, Governor Murphy signed a clean-up bill (S-4068/A-6110/6185) into law on January 18, 2022. There are some notable changes to the NJ BAIT law which are outlined below:

  1. Nonresident Withholding – NJ Partnerships will no longer require nonresident partners to pay in withholding, if the nonresident partner can reasonably expect to have this refunded due to the NJ BAIT Credit. This eliminates the burden of having the partnership basically pay in the same tax twice for a nonresident partner.
  2. PTE Tax Overpayments – Overpayments of the BAIT are now allowed to be credited to the subsequent tax year. Under the old law, the overpayment was required to be refunded. This will ease the unnecessary burden and risk of penalty, where a taxpayer may potentially be waiting for a refund needed in order to pay an estimate timely. This will take effect on the 2021 PTE-100 by allowing an overpayment to be applied to 2022. Caution – the PTE must remember to make a 2022 NJ BAIT election and file the return in order to utilize the overpayment applied from 2021 to 2022.
  3. NJ BAIT Tax Base – For resident partners, the base for calculating the NJ BAIT will include income from all sources as opposed to only NJ sources under the old rules. This seems logical as NJ residents are taxed on their entire share of partnership income from all sources. The base for calculating NJ BAIT for nonresident partners will continue to be based only on their distributive share of NJ source income. It should be noted that the new NJ BAIT Tax Base rules only apply to Partnerships and not S Corporations. As a result, the NJ BAIT Tax Base for resident and nonresident shareholders will be based on their pro-rata share of their NJ source income.
  4. NJ BAIT Apportionment Factor – For tax year 2021, S Corporations will have the option of using the single sales factor or the three-factor formula (Sales, Payroll & Property) to calculate NJ source income for resident and nonresident shareholders. For 2022, you are required to use the 3-tier factor to calculate the NJ BAIT tax base.
  5. PTE Credits for Tiered Partnerships – For Tiered Partnerships, the PTE credit is now allowed to be allocated to partners of the PTE that own the upper-tier partnership. The same rules apply to S Corporations that are partners in a partnership. In addition, gross income taxpayers can apply overpayments from the PTE credits against estimated tax payments. This will avoid double paying of taxes on the same source of income.
  6. Changes in Graduated Rates – Under prior law, the 10.9% rate was calculated for income of over $5 million. Under the new law, the 10.9% rate will apply to income more than $1 million.
  7. Trusts and Estates – Trusts and Estates cannot participate in the NJ BAIT directly. However, the credit allowed to any Trust or Estate pursuant to this section may be allocated to beneficiaries or be used against the tax liability of the estate or trust. For example, if the NJ BAIT credit flows to a Trust from an S Corporation and the Trust distributes its income to its beneficiaries, then the NJ BAIT credit will also distribute to the beneficiaries.

Questions? Please reach out to a Prager Metis tax advisor for more information: https://pragermetis.com/services/tax/

NJ Business Alternative Income Tax (BAIT) By Michael Brown, CPA - Prager Metis (2024)

FAQs

How do you calculate NJ bait? ›

BAIT is assessed based on the total of each owner's prorated shares, or distributive proceeds. The entity pays the tax, not the individual, and individuals can then claim a refundable tax credit based on their amount of distributive proceeds.

What is NJ business alternative income tax? ›

New Jersey Pass-Through Business Alternative Income Tax (NJ BAIT) Act was passed in January 2020 and is effective for 2020. This act was designed to help business owners mitigate the negative impact of the federal state and local tax (SALT) deduction limitation of $10,000 on individual tax returns.

Is NJ bait tax deductible on NJ return? ›

A partnership with a fiscal year of 10/1/21–9/30/22 will file a 2021 PTE-100. Partners with a calendar year end of 12/31/22 will claim credit for their share of the 2021 BAIT on their 2022 New Jersey tax returns. Must the entity make an election to pay the Pass-Through Business Alternative Income Tax each year? Yes.

How to elect NJ bait? ›

An entity must first register with the New Jersey Division of Revenue and Enterprise Services to take advantage of the BAIT. To participate, the entity must file an election form annually. All forms and payments must be filed electronically. See our FAQ page for further details.

What is the baitfish of NJ? ›

Baitfish species: American Eel, Banded Killifish, Creek Chub, Fallfish, Fathead Minnow, Gizzard Shad, Golden Shiner, Margined Madtom, Mummichog, and Tadpole Madtom.

What is PTE payment? ›

The PTE elective tax is 9.3% of the entity's qualified net income, which is the sum of the pro rata or distributive share and guaranteed payments of each qualified taxpayers' income subject to California personal income tax.

What is the NJ alternative business calculation adjustment? ›

If you have losses in certain business-related categories of income, you may be able to use those losses to calculate an adjustment to your taxable income (Alternative Business Calculation Adjustment). In addition, you can carry forward unused losses in those categories for 20 years to calculate future adjustments.

Who pays alternative tax? ›

The alternative minimum tax (AMT) applies to taxpayers with high economic income by setting a limit on those benefits. It helps to ensure that those taxpayers pay at least a minimum amount of tax.

When did NJ Bait start? ›

2019, c. 320 enacted the Pass-Through Business Alternative Income Tax Act, effective for tax years beginning on or after January 1, 2020. For New Jersey purposes, income and losses of a pass-through entity are passed through to its owners.

What items are not taxed in New Jersey? ›

Taxes In NJ

The current Sales Tax rate is 6.625% and the specially designated Urban Enterprise Zones rate is one half the Sales Tax rate. Certain items are exempt from sales tax, such as food, clothing, drugs, and manufacturing/processing machinery and equipment. A resale exemption also exists.

Who must file nj cbt? ›

Every corporation that has elected and qualifies pursuant to Section 1361 of the Internal Revenue Code and has qualified and been accepted as a New Jersey S corporation is required to file a CBT-100S.

What home improvements are exempt from sales tax in NJ? ›

Capital improvements are exempt from tax with the exception of the following: certain landscaping services, carpet and other floor covering installations, and hard-wired alarm or security system installations.

What is the pass-through business alternative income tax credit in NJ? ›

New Jersey law allows eligible business entities to make an election to pay tax at the entity level which then allows members of the pass-through entity to take a tax credit on their individual returns.

How is NJ bait calculated? ›

Beginning in 2022

Tax Base for New Jersey Residents – The BAIT will be calculated on all income earned by New Jersey resident partners/LLC members that are individuals, estates or trusts.

What is New Jersey bait statute? ›

This new law allows pass-through businesses to pay income taxes at the entity level instead of the personal level. The New Jersey Business Alternative Income Tax — also referred to as BAIT or NJ BAIT — helps business owners mitigate the negative impact of the federal state and local tax (SALT) deduction cap.

What is considered New Jersey source income? ›

This can include income from employment, business activities, or property located in New Jersey. In your case, if you are physically working in New Jersey during your business trips, the portion of your income attributable to the time spent working in New Jersey may be considered NJ-sourced income.

What is a qualified investment partnership in New Jersey? ›

Section 18:7-1.21 - Definition of qualified investment partnership (a) "Qualified investment partnership" means a partnership under this Act that has more than 10 members or partners with no member or partner owning more than a 50 percent interest in the partnership and that derives at least 90 percent of its gross ...

What is the safe harbor for estimated tax payments in New Jersey? ›

Reporting Underpaid Estimated Tax

o Exception 1: If you filed a full-year return in the previous year and you timely pay at least 100% of your previous year's liability through four equal estimated payments and/or withholdings, you can avoid an installment interest charge. This is known as the Safe Harbor provision.

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