Example 1: If an individual sells her business at a gain under a contract whereby the purchase price is to be paid in installments, and later changes her status from resident to nonresident, she shall accrue to the period of residence the entire amount of gain remaining unpaid from such installment obligations, regardless of the method of accounting she normally uses in reporting her transactions.
Example 2: If a trust sells its business or assets at a gain under a contract whereby the purchase price is to be paid in installments, and the trust later changes its status from resident to nonresident, the fiduciary of the trust shall accrue to the period of residence the entire amount of the gain remaining unpaid from such installment obligations, regardless of the method of accounting the trust normally uses in reporting such transactions.
Example 3: Where a beneficiary of a trust or estate changes status during the taxable year from resident to nonresident, such beneficiary shall accrue to the period of residence any trust or estate income credited, distributed, payable or required to be distributed to such beneficiary as of the date of such beneficiary's change of residence.
Example: On September 10, 1992, B, a resident individual who, for federal income tax purposes, uses the cash receipts and disbursements method of accounting and uses the calendar year as his accounting period, retires from employment in Connecticut and moves to Florida. B's salary up to the date of termination amounts to $18,000. On September 1, B's employer notifies him that, under his employment contract, B shall receive on October 1, 1992 a bonus of $1,000, subject to no contingencies.
Dividend income received before the change of residence amounted to $550, and on August 15, 1992, the XYZ Corporation declares a dividend of $600, payable to B on September 20, 1992 if he is a stockholder of record on September 6, 1992. B also holds State of California bonds on which interest in the amount of $300 is received on the first day of each calendar quarter (January 1, April 1, July 1 and October 1, 1992).
On January 2, 1992, B closed title with C on a tract of vacant land in Pennsylvania, taking back from C a purchase money mortgage that calls for annual payments on July 1 of each year. By reason of B's use for federal tax purposes of the installment method of accounting with respect to this transaction, B shall realize a capital gain of $1,000 each year for five years, or $5,000.
On September 1, 1992, B enters into a contract with D to sell B's beach property in Connecticut to D, subject to D's investigation of title and obtaining a stipulated mortgage. The property to be sold is not B's principal place of residence and is not used for rental purposes. The closing of title on this property is held on October 20, 1992. B realizes a capital gain of $20,000 which is included in determining the gain from the sale or exchange of property reported on B's 1992 federal income tax return.
On B's 1992 Connecticut part-year resident income tax return, B includes in his Connecticut adjusted gross income for the period of residence the following items:
Regular salary . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . | $18,000 |
Bonus-not forfeitable . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . | 1,000 |
Dividends received before change of residence . . . . . . . . . . . . . . . . . . . . . . . . . | 550 |
Dividends accrued as of record date. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . | 600 |
Gain on sale of Pennsylvania property ($1,000 from 1992 payment; $4,000 accrued). . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . | 5,000 |
Modification under § 12-701(a)(20)-2 for California bond interest ($900 received on January 1, April 1 and July 1, plus $233 accrued on account of interest payable October 1) . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . | 1,133 |
For the period of nonresidence, B includes in Connecticut adjusted gross income derived from or connected with Connecticut sources the capital gain on the sale of the Connecticut beach property ($20,000). Such gain is not accruable to the period of residence during the taxable year because of the conditions stated in the contract of sale.
Because B accrues the bonus payment to his period of residence during 1992, he is not required to take it into account in his period of nonresidence during 1992 as an item of income derived from Connecticut sources, even though B actually receives it when he is a nonresident. See § 12-717(c)(3)-1 of this Part.
Conn. Agencies Regs. § 12-717(c)(1)-1