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The stock in Tangerine Corporation is held by two unrelated individuals,Janet (60%) and Joaquin (40%) .One year before the liquidation of Tangerine,the shareholders transfer properties to the corporation in a transaction that qualifies under § 351.Included in that transfer was land (basis of $600,000,fair market value of $650,000) .Pursuant to its liquidation in the current year,Tangerine Corporation distributes the land (now worth $500,000) pro rata to the shareholders.What amount of loss will Tangerine recognize on the distribution?


A) $0.
B) $40,000.
C) $60,000.
D) $100,000.
E) None of the above.

F) B) and D)
G) A) and D)

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To qualify a partial liquidation under the termination of a business test,the distribution must consist of the proceeds from the sale of a qualified trade or business.

A) True
B) False

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Kite Corporation has 1,000 shares of stock outstanding.Kent owns 300 shares,Kent's father owns 200 shares,Kent's daughter owns 100 shares,and Kent's aunt owns 200 shares.Plover Corporation owns the other 200 shares in Kite Corporation.Kent owns 75% of the stock in Plover Corporation.Applying the § 318 stock attribution rules,how many shares does Kent own in Kite Corporation?


A) 500.
B) 600.
C) 750.
D) 950.
E) None of the above.

F) A) and B)
G) C) and E)

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On March 16,2011,Blue Corporation purchased 10% of the Gold Corporation stock outstanding.Blue Corporation purchased an additional 40% of the stock in Gold on October 24,2011,and an additional 25% on April 4,2012.On July 23,2012,Blue Corporation purchased the remaining 25% of Gold Corporation stock outstanding. On March 16,2011,Blue Corporation purchased 10% of the Gold Corporation stock outstanding.Blue Corporation purchased an additional 40% of the stock in Gold on October 24,2011,and an additional 25% on April 4,2012.On July 23,2012,Blue Corporation purchased the remaining 25% of Gold Corporation stock outstanding.

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Tanya is in the 35% tax bracket.She acquired 1,000 shares of stock in Swan Corporation seven years ago for $250 a share.In the current year,Swan Corporation (E & P of $1.2 million)redeems all of her shares for $400,000.What are the tax consequences to Tanya if: Tanya is in the 35% tax bracket.She acquired 1,000 shares of stock in Swan Corporation seven years ago for $250 a share.In the current year,Swan Corporation (E & P of $1.2 million)redeems all of her shares for $400,000.What are the tax consequences to Tanya if:

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In the current year,Loon Corporation made a distribution in redemption of some of its shares.Loon incurred expenditures in connection with the redemption totaling $35,000 (accounting fees of $9,000,legal fees of $20,000,and brokerage fees of $6,000) .The distribution was a qualifying stock redemption.How much of the $35,000 is deductible in the current year?


A) $6,000.
B) $9,000.
C) $29,000.
D) $35,000.
E) None of the above.

F) A) and C)
G) A) and E)

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Compare the sale of a corporation's assets with a sale of its stock from the perspective of the seller.

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A sale of a corporation's assets present...

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Egret Corporation has manufactured recreational vehicles for 8 years.In addition,for the last 3 years,Egret has operated a separate division that sells bicycle equipment.Francis,an individual,and Loon Corporation each acquired 500 shares of stock in Egret (basis of $2,000 per share)10 years ago.In the current year,the bicycle equipment division is entirely destroyed by fire.Egret Corporation decides to discontinue the business and distributes pro rata all of the $5 million of insurance proceeds collected as a result of the fire to Francis and Loon Corporation in redemption of 200 shares of stock from each shareholder.Determine the tax consequences of the stock redemption to Egret Corporation (E & P of $6 million),to Francis,and to Loon Corporation.

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The redemption will qualify as a partial...

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Reginald and Roland (Reginald's son)each own 50% of the stock of Robin Corporation.Reginald's stock interest is entirely redeemed by Robin Corporation.Two years later,Reginald loans Robin Corporation $250,000.The loan to Robin Corporation does not constitute a prohibited interest for purposes of the family attribution waiver.

A) True
B) False

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One difference between the tax treatment accorded nonliquidating and liquidating distributions is with respect to the recognition of losses by the distributing corporation.As a general rule,a corporation recognizes losses on liquidating distributions of depreciated property (fair market value less than basis)but not on nonliquidating distributions of such property.

A) True
B) False

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To carry out a qualifying stock redemption,Turaco Corporation (E & P of $800,000) transfers land held for investment purposes to Aida,a shareholder.The land had a basis of $250,000,a fair market value of $400,000,and is subject to a $300,000 liability.Aida has a basis of $70,000 in the shares redeemed.Which of the following is a correct statement regarding the tax consequences of this redemption?


A) Aida will have $400,000 of dividend income.
B) Aida will have a $100,000 basis in the land.
C) Turaco Corporation will recognize a gain of $50,000.
D) Aida will recognize a gain of $30,000.
E) None of the above.

F) A) and C)
G) C) and D)

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Which of the following is a correct statement regarding a redemption to pay death taxes under § 303?


A) An estate recognizes gain on the redemption equal to the excess of the distribution proceeds over the decedent's basis in the stock.
B) The § 318 stock attribution rules do not apply to the redemption.
C) The value of the stock in the decedent's gross estate must exceed 40% of the value of the adjusted gross estate.
D) A corporation recognizes gains and losses on the distribution of property in the redemption.
E) None of the above.

F) B) and E)
G) B) and D)

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The stock of Penguin Corporation is held as follows: 85% by Duck Corporation and 15% by Gerald,an individual.Penguin Corporation is liquidated in December of the current year,pursuant to a plan adopted earlier in the year.Penguin 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 Penguin stock.How much gain will Penguin Corporation recognize in this liquidating distribution?


A) $0.
B) $40,000.
C) $190,000.
D) $390,000.
E) None of the above.

F) A) and E)
G) A) and C)

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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.

A) True
B) False

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For purposes of the application of § 304 (redemptions through the use of related corporations),a shareholder must own (directly or indirectly)at least 50% of the stock of two more corporations.

A) True
B) False

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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) If Dove is liquidated,Goldfinch will have a basis in the assets received equal to Dove's basis in the assets.
C) Goldfinch is treated as having bought all of Dove's 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.

F) B) and E)
G) D) and E)

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For purposes of a partial liquidation,the termination of a business test is a subjective test that should be relied upon only after obtaining a favorable ruling from the IRS.

A) True
B) False

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Which of the following is an incorrect statement regarding the application of the § 318 stock attribution rules?


A) An individual is not deemed to own the shares owned by his or her siblings.
B) Stock owned by an estate is deemed to be owned in full by a beneficiary.
C) Stock owned by any shareholder owning 50% or more of a corporation's stock is deemed to be owned in full by the corporation.
D) Stock owned by a partnership is deemed to be owned proportionately by a partner.
E) None of the above.

F) B) and E)
G) C) and E)

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Which of the following statements is correct with respect to the § 338 election?


A) The parent 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 a 18-month period.
C) The subsidiary corporation must be liquidated pursuant to the § 338 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.

F) A) and E)
G) None of the above

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The stock of Cardinal Corporation is held as follows: 90% by Blue Jay Corporation (basis of $500,000) and 10% by Samuel (basis of $70,000) .Cardinal Corporation is liquidated in October of the current year,pursuant to a plan adopted earlier in the year.Pursuant to the liquidation,Cardinal Corporation distributed Asset A (basis of $450,000,fair market value of $720,000) to Blue Jay,and Asset B (basis of $45,000,fair market value of $80,000) to Samuel.No election is made under § 338.With respect to the liquidation of Cardinal:


A) Cardinal Corporation recognizes a gain of $35,000.
B) Blue Jay has a basis in Asset A of $720,000.
C) Samuel recognizes no gain (or loss) .
D) Blue Jay recognizes a gain of $220,000.
E) None of the above.

F) None of the above
G) C) and D)

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