Taxable and Nontaxable Income, Publication 525 – for more information on miscellaneous income from exchanges involving property or services.FinCEN Notice 2020-2 PDF – provides guidance on Report of Foreign Bank and Financial Accounts (FBAR) reporting requirements related to virtual currency.Private Letter Ruling 202019028 PDF – Addressed certain issues related to the tax-exempt status of entities in the digital asset industry. ![]() Chief Counsel Advice (CCA) 202302012 PDF - Addresses the qualified appraisal requirement for charitable contributions of cryptocurrency.Chief Counsel Advice (CCA) 202302011 PDF - Addresses the applicability of IRC section 165 to cryptocurrency that has declined in value.Chief Counsel Advice (CCA) 202124008 PDF – Describes the applicability of Internal Revenue Code Section 1031 to exchanges of Bitcoin for Ether, Bitcoin for Litecoin, and Ether for Litecoin.Chief Counsel Advice (CCA) 202114020 PDF – Addresses the receipt of Bitcoin Cash as a result of the hard fork.Chief Counsel Advice (CCA) 202035011 PDF – Describes the tax consequences of receiving convertible virtual currency as payment for performing microtasks through a crowdsourcing platform.Revenue Ruling 2019-24 PDF addresses the tax implications of a hard fork.Frequently Asked Questions on Virtual Currency Transactions expand upon the examples provided in Notice 2014-21 and apply those same longstanding tax principles to additional situations.General tax principles applicable to property transactions apply to transactions using virtual currency. For federal tax purposes, virtual currency is treated as property. IRS Notice 2014-21 guides individuals and businesses on the tax treatment of transactions using convertible virtual currencies.Receipt or transfer of a digital asset for free (without providing any consideration) that does not qualify as a bona fide giftįor more information regarding the general tax principles that apply to digital assets, you can also refer to the following materials: IRS Guidance.Any other disposition of a financial interest in a digital asset.Receipt of a digital asset as a result of an airdrop.Receipt of a new digital asset as a result of mining or staking activities.Receipt of a new digital asset as a result of a hard fork.Receipt of a digital asset as payment for goods or services.Exchange or trade of one digital asset for another digital asset.Exchange of a digital asset for property, goods, or services.Taxable gain or loss may result from transactions including, but not limited to: Transactions involving a digital asset are generally required to be reported on a tax return. Convertible virtual currency and cryptocurrencyĭigital assets are not real currency (also known as “fiat”) because they are not the coin and paper money of the United States or a foreign country and are not digitally issued by a government’s central bank.Ī digital asset that has an equivalent value in real currency, or acts as a substitute for real currency, has been referred to as convertible virtual currency.Ī cryptocurrency is an example of a convertible virtual currency that can be used as payment for goods and services, digitally traded between users, and exchanged for or into real currencies or digital assets. ![]() Definition of Digital Assetsĭigital assets are broadly defined as any digital representation of value which is recorded on a cryptographically secured distributed ledger or any similar technology as specified by the Secretary.ĭigital assets include (but are not limited to): You may be required to report your digital asset activity on your tax return. General tax principles applicable to property transactions apply to transactions using digital assets. ![]() For federal tax purposes, digital assets are treated as property.
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