Exam 20: Corporations: Distributions in Complete Liquidation and an Overview of Reorganizations
Exam 1: An Introduction to Taxation and Understanding the Federal Tax Law195 Questions
Exam 2: Working With the Tax Law86 Questions
Exam 3: Computing the Tax185 Questions
Exam 4: Gross Income: Concepts and Inclusions124 Questions
Exam 5: Gross Income: Exclusions115 Questions
Exam 6: Deductions and Losses: in General150 Questions
Exam 7: Deductions and Losses: Certain Business Expenses and Losses90 Questions
Exam 8: Depreciation, Cost Recovery, Amortization, and Depletion116 Questions
Exam 9: Deductions: Employee and Self-Employed-Related Expenses198 Questions
Exam 10: Deductions and Losses: Certain Itemized Deductions104 Questions
Exam 11: Investor Losses108 Questions
Exam 12: Tax Credits and Payments117 Questions
Exam 13: Property Transactions: Determination of Gain or Loss, Basis Considerations, and Nontaxable Exchanges273 Questions
Exam 14: Property Transactions: Capital Gains and Losses, 1231, and Recapture Provisions145 Questions
Exam 15: Alternative Minimum Tax127 Questions
Exam 16: Accounting Periods and Methods87 Questions
Exam 17: Corporations: Introduction and Operating Rules106 Questions
Exam 18: Corporations: Organization and Capital Structure90 Questions
Exam 19: Corporations: Distributions Not in Complete Liquidation177 Questions
Exam 20: Corporations: Distributions in Complete Liquidation and an Overview of Reorganizations72 Questions
Exam 21: Partnerships193 Questions
Exam 22: S Corporations156 Questions
Exam 23: Exempt Entities178 Questions
Exam 24: Multistate Corporate Taxation169 Questions
Exam 25: Taxation of International Transactions162 Questions
Exam 26: Tax Practice and Ethics172 Questions
Exam 27: The Federal Gift and Estate Taxes221 Questions
Exam 28: Income Taxation of Trusts and Estates168 Questions
Select questions type
The gains shareholders recognize as a part of a corporate reorganization may be treated a dividend to the extent of
the corporation's E & P.
(True/False)
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Purple Corporation has two equal shareholders, Joshua and Ellie, who are father and daughter. One year ago, the two shareholders transferred properties to Purple in a § 351 exchange. Joshua transferred land (basis of $600,000, fair market value of $450,000) and securities (basis of $70,000, fair market value of $250,000), while Ellie transferred equipment (basis of $420,000, fair market value of $700,000). In the current year, Purple Corporation adopts a plan of liquidation, sells all of its assets, and distributes the proceeds pro rata to Joshua and Ellie. The only loss realized upon disposition of the properties was with respect to the land that had decreased in value to $310,000 and was sold for this amount. Purple never used the land for any business purpose during the time it was owned by the corporation. What amount of loss can Purple Corporation recognize on the sale of the land?
(Multiple Choice)
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Pursuant to a liquidation, Coral Corporation distributes to Lucinda, a shareholder, land (basis of $90,000, fair market value of $200,000). The land is subject to a $75,000 liability. Lucinda will have a basis of $125,000 in the land.
(True/False)
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Indigo has a basis of $1 million in the stock of Owl Corporation, a subsidiary in which it owns 100% of all classes of stock. Indigo purchased the stock in Owl 10 years ago. In the current year, Indigo liquidates Owl and acquires assets worth $1.2 million. At the time of its liquidation, Owl Corporation had a basis of $800,000 in the assets and E & P of $500,000. Which of the following statements is correct with respect to the liquidation?
(Multiple Choice)
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During the current year, Ecru Corporation is liquidated and distributes its only asset, land, to Kena, the sole shareholder. On the date of distribution, the land has a basis of $250,000, a fair market value of $650,000, and is subject to a liability of $500,000. Kena, who takes the land subject to the liability, has a basis of $120,000 in the Ecru stock. With respect to the distribution of the land, which of the following statements is correct?
(Multiple Choice)
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The basis for the acquiring corporation in the target's assets is increased by any gain recognized by the target.
(True/False)
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For corporate restructurings, meeting the § 368 reorganization "Type" requirements is all that needs to be considered
when planning the structure of the transaction.
(True/False)
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Bobcat Corporation redeems all of Zed's 4,000 shares and distributes to him 2,000 shares of Van Corporation stock plus $50,000 cash. Zed's basis in his 20% interest in Bobcat is $100,000 and the stock's value is $250,000. At the time Bobcat is acquired by Van, the accumulated earnings and profits of Bobcat are $200,000 and of Van are $75,000. How does Zed treat this transaction for tax purposes?
(Multiple Choice)
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Acquiring Corporation transfers $500,000 stock and land with a value of $400,000 (basis of $250,000) to Target for most of its assets. The assets not acquired in the "Type A" reorganization are distributed to Target's shareholder, Tia. They are valued at $100,000 (basis of $120,000). Acquiring stock and the land also are distributed to Tia in exchange for her stock in Target. Tia's basis in her stock is $650,000. What is the gain or loss recognized by Acquiring, Target, and Tia on this restructuring? What is Tia's basis in the Acquiring stock?
(Essay)
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The stock in Rhea Corporation is owned by Jennifer (80%) and Lucy (20%), mother and daughter. In a liquidation of the corporation in the current year, Rhea distributes land that it purchased two years ago for $675,000 to Lucy. The property has a fair market value on the date of distribution of $450,000. One year later, Lucy sells the land for
$400,000. What loss, if any, will Rhea Corporation recognize with respect to the distribution of land?
(Multiple Choice)
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Pursuant to a complete liquidation, Lilac Corporation distributes the following assets to its unrelated shareholders: land held for three years as an investment (basis of $300,000, fair market value of $600,000), inventory (basis of $100,000, fair market value of $80,000), and marketable securities held for four years as an investment (basis of $200,000, fair market value of $240,000). What are the tax consequences to Lilac Corporation as a result of the liquidation?
(Multiple Choice)
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