Deck 20: Corporations: Distributions in Complete Liquidation and an Overview of Reorganizations
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Deck 20: Corporations: Distributions in Complete Liquidation and an Overview of Reorganizations
1
As a general rule,a liquidating corporation recognizes gains but not losses on the distribution of property in complete liquidation.
False
2
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.
False
3
Sparrow Corporation purchased 90% of the stock of Warbler Corporation eight years ago for $1 million.In the current year,Sparrow liquidates Warbler and acquires assets with a basis to Warbler of $850,000 (fair market value of $1.2 million).Sparrow will have a basis in the assets of $850,000 (Warbler's basis in the assets),and no recognized gain or loss.
True
4
Liquidation expenses incurred by a corporation are generally deductible as § 162 trade or business expenses.
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5
Brown Corporation purchased 85% of the stock of Green Corporation five years ago for $850,000.In the current year,Brown Corporation liquidates Green Corporation and acquires assets with a basis to Green Corporation of $700,000 (fair market value of $1.1 million).Brown Corporation will have a basis in the assets of $850,000,the same as Brown's basis in its Green stock.
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6
The related-party loss limitation in a complete liquidation applies only to distributions of property while the built-in loss limitation can apply to a distribution or sale of property.
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7
A corporation generally will recognize gain or loss on a liquidating distribution of installment notes to its shareholders.
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8
One similarity between the tax treatment accorded liquidating and nonliquidating distributions is with respect to a shareholder's basis in property received in such distributions.For each type of distribution,the shareholder's basis is the property's fair market value on the date of distribution.
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9
The Federal income tax treatment of a corporate restructuring is an extension of allowing entities to form without taxation.
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10
If a parent corporation makes a § 338 election,the subsidiary corporation is treated as a new corporation as of the day following the qualified stock purchase date.
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11
The built-in loss limitation in a complete liquidation does not apply to losses attributable to a decline in a property's fair market value after its transfer to the corporation.
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12
One advantage of acquiring a corporation via an asset purchase instead of a stock purchase is that an asset purchase avoids the transfer of the acquired corporation's liabilities.
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13
A subsidiary corporation is liquidated at a time when it is indebted to its parent corporation.The subsidiary corporation distributes property to the parent corporation in satisfaction of the indebtedness.If the liquidation is governed by § 332,neither the subsidiary nor the parent recognize gain or loss on the transfer of property in satisfaction of indebtedness.
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14
Legal dissolution under state law is required for a liquidation to be complete for tax purposes.
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15
If a liquidation qualifies under § 332,any minority shareholder will recognize gain or loss equal to the difference between the fair market value of assets received and the basis of the shareholder's stock.
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16
If a parent corporation makes a § 338 election,the subsidiary corporation recognizes gain but not loss on the deemed sale of its assets on the qualified stock purchase date.
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17
Section 332 can apply to a parent-subsidiary liquidation even if the subsidiary corporation is insolvent on the date of the liquidation.
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18
A subsidiary is liquidated pursuant to § 332.The parent has held 100% of the stock in the subsidiary for the past ten years.The subsidiary has a net operating loss carryover of $400,000.The net operating loss does not carry over to the parent.
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19
If a parent corporation makes a § 338 election,the subsidiary corporation must be liquidated.
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20
The related-party loss limitation applies to distributions to related parties and either the distribution is pro rata or the property distributed is disqualified property.
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21
For a corporate restructuring to qualify as a tax-free reorganization,the step transaction doctrine must apply.
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22
Last year,Crow Corporation acquired land in a transaction that qualified under § 351.The land had a basis of $400,000 to the contributing shareholder and a fair market value of $310,000.Assume that the shareholder also transferred equipment (basis of $100,000,fair market value of $200,000) in the same § 351 exchange.In the current year,Crow Corporation adopted a plan of liquidation and distributes the land to Ali,a shareholder who owns 20% of the stock in Crow Corporation.The land's fair market value was $230,000 on the date of the distribution to Ali.Crow Corporation acquired the land to use as security for a loan it had hoped to obtain from a local bank.In negotiating with the bank for a loan,the bank required the additional capital investment as a condition of its making a loan to Crow Corporation.How much loss can Crow Corporation recognize on the distribution of the land?
A)$0.
B)$80,000.
C)$90,000.
D)$170,000.
E)None of the above.
A)$0.
B)$80,000.
C)$90,000.
D)$170,000.
E)None of the above.
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23
Obtaining a positive letter ruling from the IRS can ensure the desired tax treatment for parties contemplating a corporate reorganization.
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24
Pursuant to a complete liquidation,Oriole Corporation distributes to its shareholders land with a basis of $350,000 and a fair market value of $800,000.The land is subject to a liability of $920,000.What is Oriole's recognized gain or loss on the distribution?
A)$0.
B)$120,000 loss.
C)$450,000 gain.
D)$570,000 gain.
E)None of the above.
A)$0.
B)$120,000 loss.
C)$450,000 gain.
D)$570,000 gain.
E)None of the above.
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25
Magenta Corporation acquired land in a § 351 exchange one year ago.The land had a basis of $320,000 and a fair market value of $350,000 on the date of the transfer.Magenta Corporation has two shareholders,Mark (70%) and Megan (30%),who are brother and sister.Magenta Corporation adopts a plan of liquidation in the current year.On this date,the land has decreased in value to $250,000.Magenta Corporation sells the land for $250,000 and distributes the proceeds pro rata to Mark and Megan.What amount of loss may Magenta Corporation recognize on the sale of the land?
A)$0.
B)$21,000.
C)$30,000.
D)$70,000.
E)None of the above.
A)$0.
B)$21,000.
C)$30,000.
D)$70,000.
E)None of the above.
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26
Originally,the Supreme Court decided that corporate reorganizations were substantially continuations of the prior entities and thus should not be subject to taxation.
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27
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?
A)$0.
B)$140,000.
C)$150,000.
D)$290,000.
E)None of the above.
A)$0.
B)$140,000.
C)$150,000.
D)$290,000.
E)None of the above.
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28
The tax treatment of reorganizations almost parallels the Federal income tax treatment for like-kind exchanges.
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29
For corporate restructurings,meeting the § 368 reorganization "Type" requirements is all that needs to be considered when planning the structure of the transaction.
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30
Since debt security holders do not own stock,they do not fall under the corporate reorganization rules.
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31
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?
A)Lilac Corporation would recognize no gain or loss on the liquidation.
B)Lilac Corporation would recognize a net capital gain of $320,000.
C)Lilac Corporation would recognize a net capital gain of $340,000 and an ordinary loss of $20,000.
D)Lilac Corporation would recognize a net capital gain of $340,000.
E)None of the above.
A)Lilac Corporation would recognize no gain or loss on the liquidation.
B)Lilac Corporation would recognize a net capital gain of $320,000.
C)Lilac Corporation would recognize a net capital gain of $340,000 and an ordinary loss of $20,000.
D)Lilac Corporation would recognize a net capital gain of $340,000.
E)None of the above.
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32
The stock in Toucan Corporation is held equally by two brothers.Four years ago,the shareholders transfer property (basis of $200,000,fair market value of $220,000) to Toucan Corporation as a contribution to capital.In the current year and pursuant to a complete liquidation of Toucan,the property is distributed proportionately to the brothers.At the time of the distribution,the property had a fair market value of $40,000.What amount of loss will Toucan Corporation recognize on the distribution of the property?
A)$0.
B)$20,000.
C)$160,000.
D)$180,000.
E)None of the above.
A)$0.
B)$20,000.
C)$160,000.
D)$180,000.
E)None of the above.
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33
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?
A)$0.
B)$45,000.
C)$225,000.
D)$275,000.
E)None of the above.
A)$0.
B)$45,000.
C)$225,000.
D)$275,000.
E)None of the above.
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34
The determination of whether a shareholder's gain qualifies for stock redemption treatment in a corporate reorganization is based on the reduction in the percentage of the stock held in the target corporation when compared to the percentage held in the acquiring corporation.
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35
Target shareholders recognize gain or loss when they receive assets (boot) as well as stock in the acquiring corporation in a transaction meeting the § 368 requirements.
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36
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.
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37
In corporate reorganizations,if an acquiring corporation using property other than stock as consideration,it may recognize gains but not losses on the transaction.
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38
Individual shareholders would prefer to have a gain on a corporate reorganization treated as a capital gain rather than as a dividend,because they can reduce the amount taxable by their basis in the stock involved.
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39
The basis for the acquiring corporation in the target's assets is increased by any gain recognized by the target.
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40
The amount of gain recognized by a shareholder in a corporate reorganization is based on the shareholder's proportionate share of E & P.
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41
Mary and Jane,unrelated taxpayers,own Gray Corporation's stock equally.One year before the complete liquidation of Gray,Mary transfers land (basis of $200,000,fair market value of $130,000) to Gray Corporation as a contribution to capital.Assume that Mary also contributed other property in the same transaction having a basis of $20,000 and fair market value of $100,000.In liquidation,Gray distributes the land to Jane.At the time of the liquidation,the land is worth $110,000.
a.How much loss,if any,may Gray Corporation recognize on the distribution of the land to Jane?
b.Assume that the transfer of land to Gray Corporation was made so that the corporation could subdivide the land and build residential housing.However,a subsequent deterioration of the housing market forced Gray Corporation to abandon its plans.What amount of loss may Gray Corporation recognize on the distribution of the land to Jane?
a.How much loss,if any,may Gray Corporation recognize on the distribution of the land to Jane?
b.Assume that the transfer of land to Gray Corporation was made so that the corporation could subdivide the land and build residential housing.However,a subsequent deterioration of the housing market forced Gray Corporation to abandon its plans.What amount of loss may Gray Corporation recognize on the distribution of the land to Jane?
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42
Penguin Corporation purchased bonds (basis of $190,000) of its 100% owned subsidiary,Finch Corporation,at a discount.Pursuant to a § 332 liquidation and in satisfaction of the indebtedness,Finch distributes land worth $200,000 (basis of $160,000) to Penguin.Which of the following statements is correct with respect to the distribution of land?
A)Neither Finch nor Penguin recognize gain (or loss).
B)Finch recognizes no gain and Penguin recognizes a gain of $10,000.
C)Finch recognizes a gain of $40,000 and Penguin recognizes no gain.
D)Finch recognizes a gain of $40,000 and Penguin recognizes a gain of $10,000.
E)None of the above.
A)Neither Finch nor Penguin recognize gain (or loss).
B)Finch recognizes no gain and Penguin recognizes a gain of $10,000.
C)Finch recognizes a gain of $40,000 and Penguin recognizes no gain.
D)Finch recognizes a gain of $40,000 and Penguin recognizes a gain of $10,000.
E)None of the above.
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43
The stock of Lavender Corporation is held as follows: 80% by Jade Corporation (basis of $400,000) and 20% by Tiffany (basis of $100,000).Lavender Corporation is liquidated in December of the current year,pursuant to a plan adopted earlier in the year.Pursuant to the liquidation,Lavender Corporation distributed Asset A (basis of $600,000,fair market value of $900,000) to Jade,and Asset B (basis of $250,000,fair market value of $225,000) to Tiffany.No election is made under § 338.With respect to the liquidation of Lavender:
A)Lavender recognizes a loss of $25,000 on the distribution of Asset B.
B)Jade has a basis in Asset A of $900,000.
C)Tiffany has a basis in Asset B of $225,000.
D)Jade recognizes a gain of $500,000.
E)Lavender recognizes a gain of $300,000 on the distribution of Asset A.
A)Lavender recognizes a loss of $25,000 on the distribution of Asset B.
B)Jade has a basis in Asset A of $900,000.
C)Tiffany has a basis in Asset B of $225,000.
D)Jade recognizes a gain of $500,000.
E)Lavender recognizes a gain of $300,000 on the distribution of Asset A.
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44
Mars Corporation merges into Jupiter Corporation by exchanging all of its assets for 300,000 shares of Jupiter stock valued at $2 per share and $100,000 cash.Wanda,the sole shareholder of Mars,surrenders her Mars stock (basis $900,000) and receives all of the Jupiter stock transferred to Mars plus the $100,000.How does Wanda treat this transaction on her tax return?
A)Wanda recognizes a $100,000 gain.Her Jupiter stock basis is $900,000.
B)Wanda recognizes a loss of $100,000.Her Jupiter stock basis is $800,000.
C)Wanda recognizes a $100,000 gain.Her Jupiter stock basis is $700,000.
D)Wanda realizes a $200,000 loss of which $100,000 is recognized.Her Jupiter stock basis is $1 million.
E)None of the above.
A)Wanda recognizes a $100,000 gain.Her Jupiter stock basis is $900,000.
B)Wanda recognizes a loss of $100,000.Her Jupiter stock basis is $800,000.
C)Wanda recognizes a $100,000 gain.Her Jupiter stock basis is $700,000.
D)Wanda realizes a $200,000 loss of which $100,000 is recognized.Her Jupiter stock basis is $1 million.
E)None of the above.
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45
A shareholder bought 10,000 shares of Coral Corporation for $50,000 several years ago.When the stock is valued at $90,000,Coral redeems the shares in exchange for 5,000 shares of Blush Corporation stock and a $10,000 Blush bond.This transaction meets the requirements of § 368.Which of the following statements is false with regard to this transaction?
A)The shareholder has a realized gain of $40,000.
B)The shareholder has a postponed gain of $30,000.
C)The shareholder has a basis in the Blush stock of $60,000.
D)The shareholder has a recognized gain of $10,000.
E)All of the above statements are true.
A)The shareholder has a realized gain of $40,000.
B)The shareholder has a postponed gain of $30,000.
C)The shareholder has a basis in the Blush stock of $60,000.
D)The shareholder has a recognized gain of $10,000.
E)All of the above statements are true.
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46
The stock in Crimson Corporation is owned by Angel and Melawi,who are unrelated.Angel owns 60% and Melawi owns 40% of the stock.All of Crimson Corporation's assets were acquired by purchase.The following assets are to be distributed in complete liquidation of Crimson Corporation: Adjusted Fair Market Basis Value Cash $300,000 $300,000 Inventory 110,000 100,000 Equipment 180,000 200,000 Land 460,000 400,000
a.What gain or loss,if any,would Crimson Corporation recognize if it distributes the cash,inventory,and equipment to Angel and the land to Melawi?
b.What gain or loss,if any,would Crimson Corporation recognize if it distributes the equipment and land to Angel and the cash and inventory to Melawi?
a.What gain or loss,if any,would Crimson Corporation recognize if it distributes the cash,inventory,and equipment to Angel and the land to Melawi?
b.What gain or loss,if any,would Crimson Corporation recognize if it distributes the equipment and land to Angel and the cash and inventory to Melawi?
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47
Which of the following statements is correct with respect to the § 338 election?
A)The subsidiary corporation makes the § 338 election.
B)A qualified stock purchase occurs when a corporation acquires,in a taxable transaction,at least 80% of the stock (voting power and value) of another corporation within an 18-month period.
C)The parent recognizes no gain (loss) as a result of the election.
D)Gain,but not loss,is recognized by the subsidiary as a result of a deemed sale of its assets.
E)None of the above.
A)The subsidiary corporation makes the § 338 election.
B)A qualified stock purchase occurs when a corporation acquires,in a taxable transaction,at least 80% of the stock (voting power and value) of another corporation within an 18-month period.
C)The parent recognizes no gain (loss) as a result of the election.
D)Gain,but not loss,is recognized by the subsidiary as a result of a deemed sale of its assets.
E)None of the above.
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48
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?
A)Kena recognizes a gain of $530,000.
B)Ecru Corporation recognizes a gain of $250,000.
C)Kena recognizes a gain of $30,000.
D)Kena has a basis of $250,000 in the land.
E)None of the above.
A)Kena recognizes a gain of $530,000.
B)Ecru Corporation recognizes a gain of $250,000.
C)Kena recognizes a gain of $30,000.
D)Kena has a basis of $250,000 in the land.
E)None of the above.
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49
In the current year,Dove Corporation (E & P of $1 million) distributes all of its property in a complete liquidation.Alexandra,a shareholder,receives land having a fair market value of $200,000.Dove Corporation had purchased the land as an investment three years ago for $125,000,and the land was distributed subject to a $100,000 liability.Alexandra took the land subject to the $100,000 liability.What is Alexandra's basis in the land?
A)$0.
B)$100,000.
C)$125,000.
D)$200,000.
E)None of the above.
A)$0.
B)$100,000.
C)$125,000.
D)$200,000.
E)None of the above.
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50
Yoko purchased 10% of Toyger Corporation's stock six years ago for $70,000.In a transaction qualifying as a "Type C" reorganization,Yoko received $50,000 cash and 8% of Angora Corporation's stock (valued at $100,000) in exchange for her Toyger stock.Prior to the reorganization,Toyger had $200,000 accumulated earnings and profits and Angora had $300,000.How does Yoko treat the exchange for tax purposes?
A)As a recognized $50,000 long-term capital gain.
B)As a $50,000 dividend.
C)As a $20,000 dividend and a $30,000 capital gain.
D)As a $30,000 dividend and a $20,000 capital gain.
E)None of the above.
A)As a recognized $50,000 long-term capital gain.
B)As a $50,000 dividend.
C)As a $20,000 dividend and a $30,000 capital gain.
D)As a $30,000 dividend and a $20,000 capital gain.
E)None of the above.
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51
All of the following statements are true about corporate reorganization except:
A)Taxable amounts for shareholders are classified as a dividend or capital gain.
B)Reorganizations receive treatment similar to corporate formations under § 351.
C)The transfers of stock to and from shareholders qualify for like-kind exchange treatment.
D)The value of the stock received by the shareholder less the gain not recognized (postponed) will equal the shareholder's basis in the stock received.
E)All of the above statements are true.
A)Taxable amounts for shareholders are classified as a dividend or capital gain.
B)Reorganizations receive treatment similar to corporate formations under § 351.
C)The transfers of stock to and from shareholders qualify for like-kind exchange treatment.
D)The value of the stock received by the shareholder less the gain not recognized (postponed) will equal the shareholder's basis in the stock received.
E)All of the above statements are true.
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52
After a plan of complete liquidation has been adopted,Condor Corporation sells its only asset,land (basis of $220,000),to Eduardo (an unrelated party) for $300,000.Under the terms of the sale,Condor Corporation receives cash of $50,000 and Eduardo's notes for the balance of $250,000.The notes are payable over the next five years ($50,000 per year) and carry an appropriate interest rate.Immediately after the sale,Condor Corporation distributes the cash and notes to Maria,the sole shareholder of Condor Corporation.Maria has a basis of $30,000 in the Condor stock.The installment notes have a value equal to their face amount.If Maria wishes to defer as much gain as possible on the transaction,which of the following is correct?
A)Condor Corporation recognizes no gain or loss on the distribution of the installment notes.
B)Maria recognizes a gain of $20,000 in the year of liquidation.
C)Maria recognizes a gain of $45,000 in the year of liquidation.
D)Maria recognizes a gain of $270,000 in the year of liquidation.
E)None of the above.
A)Condor Corporation recognizes no gain or loss on the distribution of the installment notes.
B)Maria recognizes a gain of $20,000 in the year of liquidation.
C)Maria recognizes a gain of $45,000 in the year of liquidation.
D)Maria recognizes a gain of $270,000 in the year of liquidation.
E)None of the above.
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53
Korat Corporation and Snow Corporation enter into an acquisitive "Type D" reorganization.Xin currently holds a 20-year,$10,000 Snow bond paying 4% interest.There are 8 years until the bond matures.In exchange for his Snow bond,Xin receives an 8 year $16,000 Korat bond paying 2.5% interest.Xin thinks this is fair because he will still receive $400 of interest each year and both bonds mature on the same date.How does Xin treat this transaction on his tax return?
A)Xin recognizes no gain or loss on the exchange of bonds.
B)Xin recognizes $750 gain each year for the next 8 years.
C)Xin recognizes $6,000 capital gain.
D)Xin recognizes $6,000 ordinary gain.
E)None of the above.
A)Xin recognizes no gain or loss on the exchange of bonds.
B)Xin recognizes $750 gain each year for the next 8 years.
C)Xin recognizes $6,000 capital gain.
D)Xin recognizes $6,000 ordinary gain.
E)None of the above.
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54
The stock of Loon Corporation is held as follows: 85% by Duck Corporation and 15% by Gerald,an individual.Loon Corporation is liquidated in December of the current year,pursuant to a plan adopted earlier in the year.Loon Corporation distributes land with a basis of $350,000 and fair market value of $390,000 to Gerald in liquidation of his stock interest.Gerald had a basis of $200,000 in his Loon stock.How much gain will Loon Corporation recognize in this liquidating distribution?
A)$0.
B)$40,000.
C)$190,000.
D)$390,000.
E)None of the above.
A)$0.
B)$40,000.
C)$190,000.
D)$390,000.
E)None of the above.
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55
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?
A)Owl recognizes a gain of $400,000.
B)Indigo has an $800,000 basis in the assets.
C)Owl's E & P of $500,000 is eliminated.
D)Indigo recognizes a gain of $200,000.
E)None of the above.
A)Owl recognizes a gain of $400,000.
B)Indigo has an $800,000 basis in the assets.
C)Owl's E & P of $500,000 is eliminated.
D)Indigo recognizes a gain of $200,000.
E)None of the above.
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56
Which of the following statements is true?
A)The dollar amounts involved in reorganizations are generally substantial;thus,it is important that the financial and tax treatment of the reorganization is consistent.
B)A letter ruling indicates the income tax treatment the IRS will apply to the proposed corporate restructuring transaction.
C)Careful planning can ensure that all gains recognized by individual shareholders receive beneficial dividend treatment.
D)Corporations prefer to recognize capital gains on reorganizations because they can offset the capital losses they may have.
E)None of the statements is true.
A)The dollar amounts involved in reorganizations are generally substantial;thus,it is important that the financial and tax treatment of the reorganization is consistent.
B)A letter ruling indicates the income tax treatment the IRS will apply to the proposed corporate restructuring transaction.
C)Careful planning can ensure that all gains recognized by individual shareholders receive beneficial dividend treatment.
D)Corporations prefer to recognize capital gains on reorganizations because they can offset the capital losses they may have.
E)None of the statements is true.
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57
Which of the following statements is true concerning all types of tax-free corporate reorganizations?
A)Assets are transferred from one corporation to another.
B)Stock is exchanged with shareholders.
C)Liabilities that are assumed when cash is also used as consideration will be treated as boot.
D)Corporations and shareholders involved in the reorganization will recognize gains but not losses.
E)None of the above statements is true.
A)Assets are transferred from one corporation to another.
B)Stock is exchanged with shareholders.
C)Liabilities that are assumed when cash is also used as consideration will be treated as boot.
D)Corporations and shareholders involved in the reorganization will recognize gains but not losses.
E)None of the above statements is true.
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58
During the current year,Goldfinch Corporation purchased 100% of the stock of Dove Corporation and made a qualified election under § 338.Which of the following statements is incorrect with respect to the § 338 election?
A)Dove is treated as a new corporation as of the day following the qualified stock purchase date.
B)Dove must be liquidated pursuant to the § 338 election.
C)Dove Corporation is treated as having sold its assets on the qualified stock purchase date.
D)Dove can recognize gain or loss as a result of the § 338 election.
E)None of the above.
A)Dove is treated as a new corporation as of the day following the qualified stock purchase date.
B)Dove must be liquidated pursuant to the § 338 election.
C)Dove Corporation is treated as having sold its assets on the qualified stock purchase date.
D)Dove can recognize gain or loss as a result of the § 338 election.
E)None of the above.
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59
Scarlet Corporation,the parent corporation,has a basis of $600,000 in the stock of Brown Corporation,a subsidiary in which it owns 90% of all classes of stock.Scarlet purchased the stock in Brown Corporation 10 years ago.In the current year,Scarlet Corporation liquidates Brown Corporation and acquires assets worth $800,000 and with a tax basis to Brown Corporation of $950,000.What basis will Scarlet Corporation have in the assets acquired from Brown Corporation?
A)$0.
B)$600,000.
C)$800,000.
D)$950,000.
E)None of the above.
A)$0.
B)$600,000.
C)$800,000.
D)$950,000.
E)None of the above.
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60
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?
A)No gain is recognized by Zed in this reorganization.
B)Zed reports a $50,000 recognized dividend.
C)Zed reports a $50,000 recognized capital gain.
D)Zed reports a $40,000 recognized dividend and a $10,000 capital gain.
E)Not enough information is available to determine proper treatment.
A)No gain is recognized by Zed in this reorganization.
B)Zed reports a $50,000 recognized dividend.
C)Zed reports a $50,000 recognized capital gain.
D)Zed reports a $40,000 recognized dividend and a $10,000 capital gain.
E)Not enough information is available to determine proper treatment.
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61
The stock of Tan Corporation (E & P of $1.5 million) is owned as follows: 90% by Egret Corporation (basis of $900,000),and 10% by Zoe (basis of $70,000).Both shareholders acquired their shares in Tan more than six years ago.In the current year,Tan Corporation liquidates and distributes land (fair market value of $1.1 million,basis of $1.3 million) and equipment (fair market value of $700,000,basis of $410,000) to Egret Corporation,and securities (fair market value of $200,000,basis of $260,000) to Zoe.What are the tax consequences of these distributions to Egret,to Tan,and to Zoe?
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62
Discuss the role of letter rulings in corporate reorganizations.
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63
What are the tax consequences of a § 332 liquidation to the parent corporation,subsidiary corporation,and minority shareholder?
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64
Explain whether shareholders are exempted from gain/loss recognition in nontaxable corporate reorganization or the gain/loss recognition is merely postponed.If postponed,what is the vehicle for ensuring the postponed gain/loss will be recognized in the future?
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65
Compare the sale of a corporation's assets with a sale of its stock from the perspective of the seller.
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66
On March 15,2013,Blue Corporation purchased 10% of the Gold Corporation stock outstanding.Blue Corporation purchased an additional 40% of the stock in Gold on October 24,2013,and an additional 25% on April 4,2014.On July 23,2014,Blue Corporation purchased the remaining 25% of Gold Corporation stock outstanding.
a.For purposes of the § 338 election,on what date does a qualified stock purchase occur?
b.What is the due date for making the § 338 election?
a.For purposes of the § 338 election,on what date does a qualified stock purchase occur?
b.What is the due date for making the § 338 election?
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67
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?
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68
After a complete liquidation has been adopted,Wren Corporation sells its only asset,unimproved land (basis of $200,000) held as an investment.The land is sold to Seth (an unrelated party) for $500,000.Under the terms of the sale,Wren Corporation receives cash of $50,000 and Seth's notes for the balance of $450,000.The notes are payable over the succeeding 5 years ($90,000 per year) and carry an appropriate rate of interest.Immediately after the sale,Wren Corporation distributes the cash and notes to Adam,the sole shareholder of Wren.Adam has an adjusted basis of $80,000 in the Wren stock.The installment notes have a value equal to their face amount of $450,000.
a.How will Wren Corporation be taxed on the distribution?
b.How will Adam be taxed on his receipt of the cash and notes?
a.How will Wren Corporation be taxed on the distribution?
b.How will Adam be taxed on his receipt of the cash and notes?
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69
What will cause the corporations involved in a § 368 reorganization to recognize gain or loss? What will cause shareholders of the companies involved in the corporate reorganization to recognize gain or loss? If gain is recognized by shareholders,what are the different tax character possibilities?
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70
Dipper Corporation is acquiring Bulbul Corporation by exchanging 220,000 shares of Dipper stock and $80,000 cash for all of Bulbul's assets (valued at $500,000),liabilities ($200,000),and accumulated earnings and profits ($120,000).Betty purchased 40% of Bulbul five years ago for $60,000,and Keith purchased the remaining 60% for $90,000.What is the amount and character of the gain or loss that Betty and Keith recognize (if any),assuming that the exchange qualifies as a § 368 reorganization? What is the basis in their new Dipper stock?
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71
Explain why the antistuffing rules were enacted to limit the deductibility of losses realized by a corporation upon liquidation.
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72
Cotinga Corporation is acquiring Petrel Corporation through a "Type C" reorganization by exchanging 20% of its voting stock and $50,000 for all of Petrel's assets (value of $800,000 and basis of $600,000) and liabilities ($100,000).Jerrika owns 48% of Petrel (basis $270,000),and Allen owns the remaining 52% (basis $380,000).They exchange their stock in Petrel for their proportionate shares of the Cotinga stock and cash.What is the value of the Cotinga stock received by Jerrika and Allen? What are the amounts of gains/losses each recognizes due to the reorganization? What is Jerrika's and Allen's basis in the Cotinga stock?
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