Scott and Brooke are the sole shareholders of Tanager Company, a calendar year Subchapter S corporation. After
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Scott and Brooke deduct Tanager's $200,000 operating loss for 2016 on their individual income tax returns. Although they have a zero basis in their stock investment, they consider the guarantee of the bank loan to be debt within the meaning of § 1366(d)(1)(B).
Are Scott and Brooke correct in their reasoning? Explain.
Partial list of research aids:
Milton T. Raynor, 50 T.C. 762 (1968).
William H. Maloof, 89 TCM 1022, T.C.Memo. 2005-75.
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Related Book For
South Western Federal Taxation Individual Income Taxes 2017
ISBN: 9781305873988
40th Edition
Authors: William H. Hoffman, David M. Maloney, William A. Raabe, James C. Young, Nellen
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