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A and B are equal partners in a personal services partnership. Each partner acquired her partnership interest for cash several years ago. None of the

A and B are equal partners in a personal services partnership. Each partner acquired her partnership interest for cash several years ago. None of the partnerships asset sis Section 704(c) property. The partnership has the following balances sheet:

Assets Liabilities and Partnerships' Capital
A.B. FMV
cash 13,000 13,000 Liabilities 2,000
capital assets Capital A.B. FMV
collectibles 1,000 3,000 A 10,000 15,000
Other 6,000 2,000 B 10,000 15,000
Subtotal 7,000 5,000
Receivables - 14,000
Total 20,000 32,000 20,000 32,000

A and B Basis figures represent each partner's outside basis including their share of liabilities.

Consider the tax consequences to B on her sale in each of the following alternative situations:

a). B sells her interest for $15,000 cash

b). B sells her interest for $16,000 cash and under the partnership agreement all gain from the sale of the collectibles is allocated to B

c). Same as (a), above, except that the collectibles have a basis of $3,000 and a fair market value of $1,000, and the other capital asset has a basis of $4,000 and a fair market value of $4,000.

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