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Fact Pattern for Questions 11 and 12: Sandra owned a rental apartment building in her sole name for four years. After her business advisors suggested

Fact Pattern for Questions 11 and 12: Sandra owned a rental apartment building in her sole name for four years. After her business advisors suggested that she conduct her rental activity in corporate form, she promptly transferred the apartment building to ABC Rental Corporation, a newly formed corporation. Sandra received all of the stock of ABC Rental Corporation in exchange for the apartment building. At the time of the transfer of the apartment building to ABC Rental Corporation, Sandras adjusted basis in the building was $50,000, the fair market value of the building was $150,000, the building was subject to a mortgage of $70,000 which ABC Rental Corporation assumed, and there was depreciation recapture potential of $12,000. Sandra received stock of ABC Rental Corporation worth $80,000. As a result of the transaction, how much gain was recognized by Sandra and what was the character of the gain? A. 0 gain. B. $12,000 gain, all of which was ordinary income. C. $20,000 gain, at least $12,000 of which was ordinary income. D. $30,000 gain, at least $12,000 of which was ordinary income. Question 12 Fact Pattern for Questions 11 and 12: Sandra owned a rental apartment building in her sole name for four years. After her business advisors suggested that she conduct her rental activity in corporate form, she promptly transferred the apartment building to ABC Rental Corporation, a newly formed corporation. Sandra received all of the stock of ABC Rental Corporation in exchange for the apartment building. At the time of the transfer of the apartment building to ABC Rental Corporation, Sandras adjusted basis in the building was $50,000, the fair market value of the building was $150,000, the building was subject to a mortgage of $70,000 which ABC Rental Corporation assumed, and there was depreciation recapture potential of $12,000. Sandra received stock of ABC Rental Corporation worth $80,000. As a result of the transaction, what is the corporations basis in the building? A. $50,000. B. $70,000. C. $150,000. D. $170,000. Question 13 Larry formed Sleuth Corporation in order to incorporate the detective agency business that he had been operating for several years as a sole proprietorship. Larry transferred to Sleuth Corporation the detective agencys accounts receivable with an adjusted basis to Larry of $0 and a fair market value of $6,000, and the office condominium that Larry owned outright and from which he had operated the detective agency that had an adjusted basis to Larry of $30,000, a fair market value of $62,000, and as to which there was a mortgage payable of $34,000, which was assumed by the corporation. Also transferred to the corporation were accounts payable in the amount of $3,000. In exchange for the assets transferred, Larry received 100 percent of the stock of the corporation. Which of the following statements regarding the tax consequences of the transaction is accurate? A. Larry recognized $4,000 of his realized gain. B. Larry recognized $7,000 of his realized gain. C. The corporations basis in the condominium it received from Larry is $30,000. D. Larry recognized $6,000 of ordinary income upon the assignment of receivables. Question 14 ABC Inc. had current earnings and profits of $50,000 when it distributed to an individual shareholder land that the corporation held as an investment. On the date the land was distributed, ABC Inc.s adjusted basis in the land was $10,000, the fair market value of the land was $50,000, and the land was encumbered by a $30,000 mortgage, which liability was assumed by the shareholder. There were no other transactions that might affect ABC Inc.s earnings and profits for the year. What was the amount of ABC Inc.s earning and profits at the end of the year? A. $30,000. B. $50,000. C. $60,000. D. $70,000. Question 15 EFG Inc. distributed land to an individual shareholder in a nonliquidating distribution. On the date the land was distributed, EFG Inc.s adjusted basis in the land was $20,000, the fair market value of the land was $75,000, and the land was encumbered by a $35,000 mortgage, which liability was assumed by the shareholder. The corporations earnings and profits were $300,000 on the last day of the year in which the distribution was made after taking into effect any impact of the distribution on the corporations earnings and profits. As a result of the distribution, how much is the amount of dividend income to the shareholder, and what is the shareholders basis in the distributed property? A. Dividend income of $20,000 and basis of $20,000. B. Dividend income of $40,000 and basis of $20,000. C. Dividend income of $40,000 and basis of $40,000. D. Dividend income of $40,000 and basis of $75,000. Question 16 XYZ Corporation distributed land Jim, its sole shareholder, in a liquidating distribution. At the time of the distribution, the land had a fair market value of $120,000 and XYZ Corporations adjusted basis in the land was $100,000. The land was encumbered by a $140,000 mortgage, which mortgage was assumed by the shareholder. How much gain did XYZ Corporation recognize as a result of the distribution? A. 0. B. $20,000. C. $40,000. D. $100,000. Question 17 FAS Inc. had one class of stock outstanding. The one class of stock was owned 50 percent by Fred and 25 percent by each of Freds two sons. In the current taxable year, FAS Inc. redeemed 25 percent of Freds 50 percent, and in exchange for the stock, FAS Inc. distributed to Fred a building that had an adjusted basis to FAS Inc. of $10,000 and a fair market value of $50,000. Assume that FAS Inc.s current earnings and profits were $200,000, there were no accumulated earnings and profits, and Freds total basis in his stock before the redemption was $20,000. What is Freds basis in his remaining stock after the redemption, and what is his basis in the building distributed to him? A. Stock basis: $10,000; building basis: $10,000. B. Stock basis: $10,000; building basis: $50,000. C. Stock basis: $20,000; building basis: $10,000. D. Stock basis: $20,000; building basis: $50,000. Question 18 A tract of land was distributed by MNO Inc. to its sole shareholder, Martha, as a dividend. At the time of the distribution, MNO Inc.s adjusted basis in the land was $40,000, the fair market value of the land was $80,000, and the land was encumbered by a $55,000 mortgage. Which of the following statements is true? A. The net adjustment to MNO Inc.s earnings and profits is an increase of $15,000, (the excess of the liability over the adjusted basis in the land). B. The net adjustment to MNO Inc.s earnings and profits is an increase of $40,000, (that is, equal to the amount of gain realized by the corporation). C. The corporations realized gain of $40,000 is recognized to the extent of the $15,000, (the excess of the liability over adjusted basis in the land). D. The shareholders basis in the land distributed by the corporation to the shareholder is $80,000, (which is the fair market value of the land). Question 19 XYZ Corporation distributed to its shareholders a total of $30,000 in cash plus property that had a fair market value of $80,000 and a basis of $60,000. The corporations earnings and profits were $100,000 on the last day of the year in which the distribution was made after taking into effect any impact of the distribution on the corporations earnings and profits. How much was the total dividend income received by the shareholders as a result of the distributions made by XYZ Corporation? A. $50,000. B. $90,000. C. $100,000. D. $110,000. Question 20 MJJM Inc. has four equal shareholders who are unrelated. Each shareholder owns 300 shares of the common stock of MJJM Inc. representing all of the stock of MJJM Inc. During the taxable year, as part of a single transaction, MJJM Inc. redeemed stock from three of the shareholders. Specifically, MJJM Inc. redeemed 150 shares from Michael, 75 shares from Joseph, and 40 shares from John. The redemption was substantially disproportionate for: A. Michael and Joseph. B. Michael and John. C. Joseph only. D. Michael only. Question 21 Fact Pattern for Questions 21 and 22. EFG, Inc. is a calendar year corporation. EFG, Inc. had current earnings and profits of $100,000 and no accumulated earnings and profits when it distributed a total of $160,000, as a nonliquidating distribution, to its two equal shareholders, Jane and Joe. On the date of the cash distribution, Janes basis in her EFG, Inc. stock was $10,000 and Joes basis in his EFG, Inc. stock was $35,000. How much is includible by Jane in her gross income for the current taxable year with respect to the distribution to her? A. $50,000 dividend income and 0 capital gain. B. $80,000 dividend income and 0 capital gain. C. 0 dividend income and $70,000 capital gain. D. $50,000 dividend income and $20,000 capital gain. Question 22 Fact Pattern for Questions 21 and 22. EFG, Inc. is a calendar year corporation. EFG, Inc. had current earnings and profits of $100,000 and no accumulated earnings and profits when it distributed a total of $160,000 to its two equal shareholders, Jane and Joe. On the date of the cash distribution, Janes basis in her EFG, Inc. stock was $10,000 and Joes basis in his EFG, Inc. stock was $35,000. What is Joes adjusted basis in his EFG, Inc. stock after the distribution? A. $0. B. $5,000. C. $15,000. D. $35,000. Question 23 Mary received a liquidating distribution from ABC Corporation as part of the redemption of all of the ABC Corporations stock and the complete liquidation of ABC Corporation. Marys basis for her ABC Corporation stock was $10,000. In exchange for her stock, Mary received a payment of $15,000 and property that had an adjusted basis to ABC Corporation of $10,000, a fair market value of $25,000, and that was encumbered by a $12,000 mortgage which Mary assumed. How much gain did Mary recognize as a result of this transaction? A. $3,000. B. $18,000. C. $30,000. D. $42,000. E. None of the above. Question 24 Ann and Irene form AIB Corporation transferring their respective business assets to AIB Corporation. Ann exchanges her property with a basis to Ann of $100,000 and fair market value of $400,000 for 200 shares in AIB Corporation on March 1, 2009. Irene exchanges her property with a basis of $140,000 and fair market value of $600,000 for 300 shares in AIB Corporation on April 11, 2009. Bob transfers his property with a basis of $250,000 and fair market value of $1,000,000 for 500 shares in AIB Corporation on May 15, 2011. Bobs transfer is not part of Ann and Irenes plan to incorporate their businesses. What gain, if any, will Bob recognize on the transfer? A. $0. B. $250,000. C. $750,000. D. $1,000,000. Question 25 Tom and George form T and G Corporation. Tom transfers machinery worth $100,000 with a basis to Tom of $40,000, while George transfers land worth $90,000 with a basis to George of $20,000 and services rendered in organizing the corporation worth $10,000. Each is issued 25 shares in T and G Corporation. With respect to the transfers: A. Tom has no recognized gain; George recognizes gain/income of $80,000. B. Neither Tom nor George recognizes gain or income. C. T and G Corporation has a basis of $30,000 in the land. D. George has a basis of $30,000 in the shares of T & G Corporation. Question 26 The stock of Kenny Corp. is owned equally by two brothers. During 2008, they transferred land (which had a basis of $300,000 and a fair market value of $320,000) as a contribution to capital to Kenny Corp. During September, 2012, Kenny Corp. adopted a plan of complete liquidation and subsequently made a pro rata distribution of land back to the brothers. At the time of the liquidating distribution, the land had a fair market value of $180,000. What amount of loss can be recognized by Kenny Corp. on the distribution of land? A. $0. B. $20,000. C. $120,000. D. $140,000. Question 27 Henry, Emmy, and Frannie, unrelated individuals, own all of the stock in New Corporation with earnings and profits of $1,200,000 as follows: Henry own 1,300 shares; Emmy owns 400 shares; and Frannie owns 300 shares. New Corporation redeems 300 of Henrys shares with a basis of $60,000 for $450,000. With respect to the distribution in redemption of the stock: A. Henry has a capital gain of $390,000. B. Henry has dividend income of $450,000. C. Henry has dividend income of $390,000. D. Henry has a capital gain of $450,000. Question 28 Lucinda owns 1,100 shares of Old Corporation stock at a time when Old Corporation has 2,000 shares of stock outstanding. The remaining shareholders are unrelated to Lucinda. The corporation redeems 400 shares from Lucinda. Does the transaction qualify as substantially disproportionate redemption as to Lucinda? A. We do not have sufficient information. B. No. C. Yes. D. This is not a transaction that could qualify for sale or exchange treatment. Question 29 Helen, Greg, and Wanda own the stock in HGW Corporation with earnings and profits of $900,000 as follows: Helen, 600 shares; Greg, 400 shares; and Wanda, 1,000 shares. Greg is Helens son, and Wanda is Helens sister. HGW Corporation redeems 400 of Helens shares with a basis of $55,000 for $240,000. Helen purchased the stock three years ago as an investment. With respect to the stock redemption, Helen has: A. Dividend income of $185,000. B. Dividend income of $240,000. C. Long-term capital gain of $185,000. D. Long-term capital gain of $240,000. Question 30 JKL Corporation has earnings and profits of $800,000 and has 1,000 shares of stock outstanding. That stock is held 550 shares by Anna and 450 shares by Ellen, who are unrelated individuals. JKL Corporation redeems 200 of Annas shares for $1,000 per share. Anna paid $300 per share for her JKL Corporation stock nine years ago. Which of the following statements is correct with respect to the stock redemption? A. Anna has dividend income of $200,000. B. Anna has a long-term capital gain of $140,000. C. Annas basis in her remaining 350 shares is $60,000. D. JKL Corporation reduces its E & P by $200,000.

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