Frank, Greta, and Helen each have a one-third interest in the FGH Partnership. On December 31, 2013,

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Frank, Greta, and Helen each have a one-third interest in the FGH Partnership. On December 31, 2013, the partnership reported the following balance sheet:

Frank, Greta, and Helen each have a one-third interest in

The partnership placed Asset 1 (seven-year property) in service in 2011 and Asset 2 (five year property) in service in 2012. The partnership did not elect Sec. 179 expensing and elected out of bonus depreciation in both years. Accordingly, it computed the assets' adjusted bases at December 31, 2013 as follows:

Frank, Greta, and Helen each have a one-third interest in

On January 2, 2014, Helen sold her partnership interest to Hank for $190,000. At the time of sale, the partnership had a Sec. 754 optional basis election in effect but has not elected to use the remedial method for allocating partnership items.
Required:
The partners have asked you to determine
(1) The amount and character of Helen's gain or loss;
(2) Hank's optional basis adjustment and its allocation to Asset 1 and Asset 2; and
(3) The amount of depreciation allocated to Hank in 2014, including the Effects of the optional basis adjustment. At a minimum, you should consult the following resources:
• IRC Secs. 743 and 751
• Reg. Sec. 1.743-1(j)
• Reg. Sec. 1.755-1

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Federal Taxation 2015 Corporations Partnerships Estates & Trusts

ISBN: 9780133822144

28th Edition

Authors: Thomas R. Pope, Timothy J. Rupert, Kenneth E. Anderson

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