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Business
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Federal Taxation
Exam 20: Corporations: Distributions in Complete Liquidation and an Overview of Reorganizations
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Question 61
Essay
Briefly describe the Federal judicial doctrines that may apply to tax-free corporate reorganizations.
Question 62
Essay
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 of the gain or loss (if any) that Betty and Keith recognize, assuming that the exchange qualifies as a § 368 reorganization? What is the basis in their new Dipper stock?
Question 63
Essay
Compare the sale of a corporation's assets with a sale of its stock from the perspective of the seller.
Question 64
True/False
The tax treatment of reorganizations almost parallels the Federal income tax treatment for like-kind exchanges.
Question 65
True/False
For corporate restructurings, meeting the § 368 reorganization "Type" requirements is all that needs to be considered when planning the structure of the transaction.
Question 66
True/False
In corporate reorganizations, if an acquiring corporation is using property other than stock as consideration, it may recognize gains but not losses on the transaction.