Alternative Minimum Tax (AMT)
Alternative Minimum Tax (AMT)
Parallel tax calculation system designed to ensure high-income taxpayers pay a minimum level of tax by disallowing certain deductions and adding back tax-preference items. Common triggers include private activity bond interest and incentive stock option (ISO) exercise. Taxpayers calculate both regular tax and AMT, then pay whichever is higher. AMT exemption amount phases out at higher income levels.
A high-income client purchases $500,000 in private activity municipal bonds yielding 4% tax-free interest ($20,000 annually). While this interest is exempt from regular federal income tax, it must be added back when calculating AMT, potentially triggering AMT liability. The same client would NOT face AMT from $500,000 in public purpose (essential service) municipal bonds.
Students often assume all municipal bond interest is completely tax-free. However, interest from private activity bonds is a tax-preference item subject to AMT, even though it remains exempt from regular federal income tax. Only public purpose (essential service) municipal bonds avoid both regular tax and AMT. Another common error is thinking AMT is an additional tax on top of regular tax; actually, you pay the higher of the two calculations, not both.
How This Is Tested
- Identifying which municipal bonds trigger AMT exposure (private activity bonds vs. public purpose bonds)
- Determining when a high-income client should avoid private activity bonds due to AMT risk
- Understanding that AMT is a parallel calculation, not an additional tax on top of regular tax
- Recognizing common AMT preference items: private activity bond interest, ISO exercise, large state/local tax deductions
- Evaluating municipal bond suitability for clients potentially subject to AMT
Regulatory Limits
| Description | Limit | Notes |
|---|---|---|
| AMT tax calculation | Pay higher of regular tax or AMT calculation | Two parallel systems; taxpayer owes whichever amount is greater |
| Private activity bond interest treatment | Subject to AMT | Exempt from regular federal tax but added back for AMT calculation |
| Public purpose municipal bond interest | NOT subject to AMT | Essential service bonds avoid both regular tax and AMT |
| AMT exemption phaseout | Phases out at higher income levels | AMT exemption amount reduces as income increases, increasing AMT exposure |
Example Exam Questions
Test your understanding with these practice questions. Select an answer to see the explanation.
Robert, a 48-year-old software executive with $850,000 annual income, is concerned about AMT exposure and wants to invest $400,000 in municipal bonds for tax-free income. His adviser presents two options: City of Phoenix revenue bonds (private activity) yielding 4.2%, or Phoenix General Obligation bonds (public purpose) yielding 3.8%. Both have similar credit ratings and maturities. Which recommendation would be most appropriate given Robert's AMT concerns?
B is correct. Given Robert's high income ($850,000) and stated concern about AMT exposure, the public purpose General Obligation bonds are most appropriate because their interest is exempt from both regular federal income tax AND AMT. While the private activity bonds offer a higher nominal yield (4.2% vs 3.8%), that interest must be added back when calculating AMT, potentially triggering AMT liability and eliminating much of the tax benefit.
A is incorrect because it focuses only on nominal yield while ignoring Robert's specific AMT concerns. The higher yield on private activity bonds often compensates for their AMT treatment, but Robert explicitly wants to avoid AMT exposure. C is incorrect because it misstates tax treatment; private activity bond interest IS subject to AMT, even though it's exempt from regular federal income tax. D, while potentially true about credit risk (GO bonds are typically safer than revenue bonds), doesn't address Robert's primary concern about AMT exposure, which is the key issue in this scenario.
The Series 65 exam frequently tests the distinction between private activity bonds (subject to AMT) and public purpose bonds (not subject to AMT) in client suitability scenarios. Understanding that high-income clients may face AMT exposure from private activity bond interest is critical for appropriate recommendations. Exam questions often present situations where you must weigh higher yield against AMT risk, testing whether you understand that the AMT treatment can eliminate the tax advantage for affected clients.
Which of the following is a tax-preference item that must be added back when calculating the Alternative Minimum Tax (AMT)?
C is correct. Interest from private activity municipal bonds is a tax-preference item that must be added back to income when calculating AMT. While this interest remains exempt from regular federal income tax, it increases AMT liability, potentially causing the taxpayer to owe AMT instead of regular tax.
A (Treasury bond interest) is incorrect because Treasury interest is subject to regular federal income tax and is not an AMT preference item; it's treated the same under both systems. B (public purpose municipal bond interest) is incorrect because interest from public purpose (essential service) municipal bonds is exempt from both regular federal income tax AND AMT. D (qualified dividends) is incorrect because qualified dividends receive preferential tax treatment under both the regular tax system and AMT; they are not preference items requiring adjustment.
The Series 65 exam tests knowledge of specific AMT preference items, particularly the distinction between private activity bonds (subject to AMT) and public purpose bonds (not subject to AMT). This concept appears frequently in questions about municipal bond taxation and suitability. Understanding which income sources trigger AMT exposure is essential for making appropriate investment recommendations to high-income clients who may be subject to AMT.
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Access Free BetaA client in the 35% tax bracket is evaluating three municipal bond investments: a public purpose GO bond yielding 3.5%, a private activity airport revenue bond yielding 4.0%, and a corporate bond yielding 5.5%. The client is subject to AMT. Which statement about the tax treatment of these investments is accurate?
B is correct. Public purpose General Obligation bond interest is exempt from both regular federal income tax and AMT. This makes it the most tax-efficient option for clients subject to AMT, even if it offers a lower nominal yield than private activity bonds.
A is incorrect because the three investments have different tax treatments. The public purpose GO bond is exempt from both systems, the private activity bond is exempt from regular tax but subject to AMT, and the corporate bond is fully taxable under both systems. C is incorrect because it misstates private activity bond treatment; this interest is exempt from regular federal income tax (that's why it's called "tax-free") but must be added back for AMT calculation. It's not subject to regular tax. D is incorrect because corporate bond interest is taxable under both the regular tax system and AMT; it receives no special treatment under either system.
The exam tests your ability to correctly apply AMT rules to different investment scenarios. Understanding that public purpose bonds avoid AMT while private activity bonds trigger it is crucial for proper client recommendations. Questions often present multiple investment options and ask which is most appropriate for AMT-subject clients, testing whether you can identify tax-efficient choices. This concept frequently appears in suitability and comparative analysis questions.
All of the following statements about the Alternative Minimum Tax (AMT) are accurate EXCEPT
C is correct (the EXCEPT answer). It is FALSE that interest from all municipal bonds must be added back for AMT. Only interest from private activity bonds is a tax-preference item subject to AMT. Interest from public purpose (essential service) municipal bonds is exempt from both regular federal income tax and AMT, making these bonds particularly attractive for high-income clients subject to AMT.
A is accurate: AMT is indeed a parallel tax calculation system designed to ensure high-income taxpayers cannot use certain deductions and preferences to avoid paying substantial tax. B is accurate: taxpayers must calculate tax liability under both systems and pay the higher amount; AMT is not an additional tax on top of regular tax. D is accurate: private activity bond interest, while exempt from regular federal income tax, must be added back as a preference item when calculating AMT, potentially triggering AMT liability.
The Series 65 exam tests your ability to distinguish between different types of municipal bonds and their AMT treatment. Understanding that only private activity bonds (not all municipal bonds) trigger AMT exposure is critical for making appropriate recommendations. This distinction frequently appears in EXCEPT questions and scenario-based suitability questions, where you must identify which municipal bonds are suitable for AMT-subject clients.
A high-income client currently subject to AMT is considering municipal bond investments. Which of the following statements are accurate regarding AMT and municipal bonds?
1. Private activity bond interest must be added back when calculating AMT
2. Public purpose municipal bond interest is exempt from both regular tax and AMT
3. The client will pay both regular tax and AMT on the same income
4. Private activity bonds typically yield more than public purpose bonds to compensate for AMT treatment
B is correct. Statements 1, 2, and 4 are accurate.
Statement 1 is TRUE: Private activity municipal bond interest is a tax-preference item that must be added back to income when calculating AMT. While exempt from regular federal income tax, this interest can trigger AMT liability.
Statement 2 is TRUE: Public purpose (essential service) municipal bond interest is exempt from both regular federal income tax AND AMT, making these bonds ideal for high-income clients subject to AMT.
Statement 3 is FALSE: The client pays the HIGHER of regular tax or AMT, not both. AMT is an alternative calculation method, not an additional tax. If AMT exceeds regular tax, the taxpayer owes AMT; if regular tax is higher, they pay regular tax.
Statement 4 is TRUE: Private activity bonds typically offer higher yields than comparable public purpose bonds from the same issuer because the AMT treatment reduces their tax advantage for many high-income investors. This yield differential compensates investors for the AMT exposure.
The Series 65 exam tests comprehensive understanding of how AMT affects municipal bond investing through multi-part questions like this. Understanding that AMT is an alternative calculation (not additional), that different municipal bonds have different AMT treatment, and that market pricing reflects these tax differences is essential. Roman numeral questions frequently combine these concepts to test whether candidates have integrated knowledge rather than isolated facts about AMT and municipal securities.
💡 Memory Aid
Think of AMT as a parallel parking spot: you can only park in one (pay the higher of regular tax OR AMT, not both). Private Activity = AMT trigger (private activity bond interest gets added back). Public Purpose = Pure tax-free (no regular tax, no AMT). Remember: "Private Problems, Public Peace" for municipal bonds.
Related Concepts
This term is part of this cluster: