Middle Market Captive Opportunities under IRC Section 831(b)

  • Under IRC Section 162, premium payments made by the operating company allow the client to further manage business risk and should be tax-deductible as ordinary and necessary business expenses
  • Captives which make an annual election under IRC Section 831(b) are tax-exempt under the annual $1.2MM premium test
  • Captive underwriting profits and surplus accumulation are also tax-exempt; only investment income is taxable annually
  • A Captive elects to be taxed as a C-Corporation
  • Distributions are treated as Qualifying Dividends
  • Liquidation of a Captive is treated as a Long-Term Capital Gain

contact us today for a one hour, complimentary face to face assessment

© Safe Harbor Risk Advisors 2024 | All Rights Reserved