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Ms. Shlemeel was the sole proprietor of a business that retailed specialty coffees. The business has a December 31 year-end. With the advice of her

Ms. Shlemeel was the sole proprietor of a business that retailed specialty coffees. The business has a December 31 year-end. With the advice of her lawyer, Mr. Shlemozzel, she proposes to transfer the assets of the business on January 2, 2021 to a newly incorporated company called Shlemeel Coffees Unlimited Ltd., the common shares of which are owned by her husband. This corporation has a December 31 year-end. Ms. Shlemeel has provided you with the following balance sheet and additional information concerning her proprietorship. SHLEMEEL COFFEES BALANCE SHEET December 31, 2020 Current Assets Cash $15,000 Accounts receivable $35,000 Less: Reserve for doubtful debts 13,000 22,000 Inventory (not real estate), at cost (FMV$40,000) 37,000 Shares in Koffee Kart Ltd., at cost (FMV: $32,000) 45,000 Prepaid rent 2,000 $121,000 Fixed assets Land, at cost (FMV: $210,000) 60,000 Building, at cost (FMV: $180,000) $160,000 Less: accumulated amortization 95,000 65,000 Equipment, at cost (FMV: $49,000) $100,000 Less: accumulated amortization 54,000 46,000 Computer system, at cost (FMV: $12,000) $25,000 Less: accumulated amortization 8,000 17,000 Computer software, at cost (FMV: $4,000) $6,000 Less: accumulated amortization 6,000 - $309,000 Current liabilities Accounts payable $20,000 Current portion of mortgage 27,000 $47,000 Long-term debt Mortgage payable $115,000 Less: current portion 27,000 88,000 $135,000 Proprietor's equity 174,000 $309,000 FMV = fair market value Additional Information 1. Income for tax and financial accounting purposes have always been the same. 2. The proprietorship has developed goodwill that has a fair market value of $71,000. 3. Liabilities are to be assumed by the new corporation. In addition, Ms. Shlemeel wants to take, as consideration for the transfer of assets under subsection 85(1), the maximum (to the nearest multiple of $1,000) in notes payable by the corporation to permit the maximum deferral of taxation on the transfer. She wants the remainder of the maximum fair market value of consideration in voting preferred shares. The shares will be retractable with a legal stated capital equal to their fair market value and sufficient votes to control the corporation. 4. Koffee Kart Ltd. is an arm's length Canadian-controlled private corporation. All of the corporation's assets are used in an active business carried on in Canada. Ms. Shlemeel owns 15% of the shares of Koffee Kart Ltd. Required: Ms. Shlemeel has come to you, her accountant, for income tax advice on this proposed transaction. (a) Identify, with a brief explanation, the business assets that: (i) should not be transferred to the corporation at all, and (ii) should be transferred to the corporation, but cannot or should not be transferred under a subsection 85(1) election and the amount and type of consideration that should be received for each asset. (b) For the assets that should be transferred under a subsection 85(1) election to the corporation, indicate the maximum amount of debt (to the nearest multiple of $1,000) that can be taken. Also, indicate the amount of the shares that can be taken as consideration to defer all possible capital gains, losses and other income and to avoid other adverse tax consequences. (c) Compute the adjusted cost base (ACB) of the consideration and the paid-up capital (PUC) for tax purposes of the shares received from the corporation on the transfer under a subsection 85(1) election.

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