Potta Corporation transferred property with a tax basis of $450 and a fair market value of $700 to a corporation in exchange for stock with a fair market value of $550 and $75 cash in a transaction that qualifies for deferral under Section 351. What is the corporation's tax basis in the property received in the exchange?
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- An individual contributes property with an FMV in excess of basis to a corporatioin exchance for stock. The property is subject to a mortgage. In each of the followiinciances determine the basis obnestock in the hands of the shareholder and the bacof the propertycontributed in the hands of the corporation. Assume that the 80 ait.I meta. The property is subjoct to a morteage that is less than basis, and the corporatioassumes the morezec.o. The property is subicct to a morteage that is more than basis. and the corporatio:assumes the mortgage.a. What amount of ordinary income and separately stated items are allocated to them for year 1 based on the information above? Assume that Falcons Corporation has $200,000 of qualified property (unadjusted basis). b. What amount of ordinary income and separately stated items are allocated to them for year 2 based on the information above? Assume that Falcons Corporation has $200,000 of qualified property (unadjusted basis).Sissoon Inc exchanged a business asset for an investment asset Both assets had a $620,000 appraised FMV Sisoons book basis in the business asset was $518,900 and it's tax basis was $443,400. Compute Sissoons book and tax gain if the business asset and investment asset were like-kind properties for tax purposes Determine Sissoons book and tax basis of the investment asset acquired in the non taxable exchange properties for tax purposes. compute Sissoons book and tax gain if the business asset and investment asset were not like king properties for tax purposes. Determine Sissoon's book and tax basis of the investment asset aquired in the taxable exchange.
- 9 When making non-cash distributions where the fair market value of the property distirbuted exceeds its adjusted basis, corporations must: a. Defer the gain until such time as the recipient shareholder disposes of all stock in the corporation b. Disclose the adjusted basis info to the recipient shareholder so the shareholder may recognize the gain upon disposition. c. Recognize gain under IRC 311Ef 65.Gaston Corporation distributes § 1245 property as a dividend to its shareholders. The property's fair market value is $813,600, and the adjusted basis is $772,920. In addition, the amount of the recapture potential is $77,292. What is the amount and character of Gaston's gain or loss? As result of the distribution, Gaston recognizes of
- On January 7, 2022, Martin Corporation acquires two properties from a shareholder solely in exchange for stock in a transaction that qualifies under § 351. The shareholder's basis, the fair market value, and the built-in gain (loss) of each property are: Shareholder's Fair Market Built in Gain Basis Value or (Loss) Property 1 $471,800 $566,160 $94,360 Property 2 $802,060 $613,340 ($188,720) Net built-in loss ($94,360) Martin adopts a plan of liquidation later in the year and distributes Property 2 to a 45% shareholder when the property is worth $518,980. a. Compute Martin's basis in Property 1 and in Property 2 as of January 7, 2022. Martin's basis is Property 1 is a Martin's basis in Property 2 is a basis of $ basis of $ b. Compute Martin's realized and recognized loss on the liquidating distribution of Property 2. Martin has a realized loss of $ and a recognized loss of $COMPREHENSIVE PROBLEMS a connect Select problems are available in Connect®. 56. Several years ago, your client, Brooks Robertson, started an office cleaning service. His business was very successful, owing much to his legacy as the greatest defen- sive third baseman in major league history and his nickname, “The Human Vacuum Cleaner." Brooks operated his business as a sole proprietorship and used the cash method of accounting. Brooks was advised by his attorney that it is too risky to op- erate his business as a sole proprietorship and that he should incorporate to limit his liability. Brooks has come to you for advice on the tax implications of incorpora- tion. His balance sheet is presented below. Under the terms of the incorporation, Brooks would transfer the assets to the corporation in return for 100 percent of the company's common stock. The corporation would also assume the company's liabilities (payables and mortgage). Balance Sheet Adjusted Basis FMV Assets Accounts receivable…Hah
- Required information [The following information applies to the questions displayed below.] Zhang incorporated her sole proprietorship by transferring inventory, a building, and land to the corporation in retur 100 percent of the corporation's stock. The property transferred to the corporation had the following fair market val and adjusted tax bases: Inventory Building Land Total The corporation also assumed a mortgage of $100,000 attached to the building and land. The fair market value of th corporation's stock received in the exchange was $1,820,000. Note: Negative amount should be indicated by a minus sign. Leave no answer blank. Enter zero if applicable. Adjusted basis FMV $ 96,000 720,000 1,104,000 $ 1,920,000 d. What is the corporation's adjusted tax basis in each of the assets received in the exchange? $ Inventory Adjusted Tax Basis $ 48,000 480,000 1,440,000 $ 1,968,000 48,000 $ Building 480,000 $ Land 436,000Which one of the following correctly states a basic feature of the IRC Chapter 14 special valuation rules? A) In a transfer of property in trust to which they apply, they make any income interest retained by the transferor that is a unitrust right subject to gift tax. B) They apply to any intrafamily transfer of assets for which there is no established market if the interest retained by the transferor is of the same type as the interest transferred. C) They apply to a transaction between family members to acquire, use, or sell at fair market value property for which there is no established market. D) In a transfer of a closely held business interest to which they apply, they make any distribution right retained by the transferor that is not fixed in time and amount subject to gift tax.Tristan transfers property with a tax basis of $1,160 and a falr market value of $1,720 to a corporation In exchange for stock with a falr market value of $1,160 and $390 In cash in a transaction that qualifies for deferral under section 351. The corporation assumed a liability of $170 on the property transferred. What Is the corporation's tax basis In the property recelved In the exchange? Multiple Cholce $1,720 $1,550 $1,330 $1,160