Question
Facts: Mr. A, a cash-basis taxpayer, transferred the assets to a existing corporation which is wholly owned by Mr. A. In exchange for these assets,
Facts: Mr. A, a cash-basis taxpayer, transferred the assets to a existing corporation which is wholly owned by Mr. A. In exchange for these assets, Mr. A received $50,000 cash and stock with a fair market value of $180,000. The assets transferred to the corporation are as followed:
Adj Basis Deprec. Taken potentially FMV
Assets at transfer date Subject to recapture @Date of Transfer
Acct receivable 0 0 10,000
Land (1231 asset) 50,000 0 75,000
Building (1250 asset) 50,000 15,000 70,000
Machinery(1245 asset) 50,000 25,000 25,000
Inventory 50,000 0 70,000
Acct Payable -0- 0 (20,000)
Total 200,000 40,000 230,000
Discussion Questions:
- How much gain or loss must Mr. A. recognize on the transfer? What is the character (ordinary income or Capital) of any gain or loss recognized?
- How much gain or loss, if any, must a corporation recognize upon the receipt of the assets of the sole-proprietorship in exchange for the corporations stock?
- What is As basis in the corporate stock?
- What is the corporations basis in each asset it receives?
- Mr. A was depreciating the building and machinery using MACRS. Can the new corporation continue to use these methods to depreciate these assets?
- Must the transferee corporation use Mr. As taxable year, or may the corporation adopt a different taxable year? If permitted, how would the corporation adopt a different taxable year?
Can the corporation deduct the accounts payable when it pays them?
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