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8 Part 3 of 8 3 points Required information [The following information applies to the questions displayed below) Tiffany and Carlos decided to liquidate their

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8 Part 3 of 8 3 points Required information [The following information applies to the questions displayed below) Tiffany and Carlos decided to liquidate their jointly owned corporation, Royal Oak Furniture (ROM). After liquidating its remaining inventory and paying off its remaining liabilities, ROF had the following tax accounting balance sheet: Adjusted Tax Appreciation FHV Basis (Depreciation) Cash 5 283, 250 285,250 Building 61,250 14,750 46,500 Land 222.000 302.500 5,500) Total $ 566,500 $ 605,500 (39.000) Under the terms of the agreement, Tiffany will receive the $283,250 cash in exchange for her 50 percent interest in ROF Tiffany's tax basis in her ROF stock is $50,000 Carlos will receive the building and land in exchange for his 50 percent interest in ROF His tax basis in the ROF stock is $129,500 Assume for purposes of this problem that the cash available to distribute to the shareholders has been reduced by any tax paid by the corporation on gain recognized as a result of the liquidation (Negative amounts should be indicated by a minus sign.) Assume Tiffany owns 40 percent of the ROF stock and Carlos owns 60 percent Tiffany will receive $226,600 in the liquidation and Carlos will receive the land and building plus $56,650 h. What is Carlos's adjusted tax basis in the building and land after the complete liquidation? Answer is complete but not entirely correct. Building Land Tax basis 15 573755 (85.500X

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