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What are the tax consequences if an individual investor incurs a loss on the following: What are the tax consequences if an individual investor incurs a loss on the following:

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Sarah and Tony (mother and son) form Dove Corporation with the following investments: cash by Sarah of $65,000; land by Tony (basis of $25,000 and fair market value of $35,000) .Dove Corporation issues 400 shares of stock, 200 each to Sarah and Tony.Thus, each receives stock in Dove worth $50,000.


A) Section 351 cannot apply since Sarah should have received 260 shares instead of only 200.
B) Section 351 may apply because stock need not be issued to Sarah and Tony in proportion to the value of the property transferred.
C) Tony's basis in the stock of Dove Corporation is $50,000.
D) As a result of the transfer, Tony recognizes a gain of $10,000.
E) None of the above.

F) B) and C)
G) All of the above

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Eve transfers property (basis of $120,000 and fair market value of $400,000) to Green Corporation for 80% of its stock (worth $350,000) and a long-term note (worth $50,000) , executed by Green Corporation and made payable to Eve.As a result of the transfer:


A) Eve recognizes no gain.
B) Eve recognizes a gain of $230,000.
C) Eve recognizes a gain of $280,000.
D) Eve recognizes a gain of $50,000.
E) None of the above.

F) C) and E)
G) B) and D)

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Section 351 (which permits transfers to controlled corporations to be tax deferred) can be justified under the wherewithal to pay concept.

A) True
B) False

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Lucy and Marta form Blue Corporation. Lucy transfers land (basis of $40,000 and fair market value of $180,000) for 50 shares plus $20,000 cash. Marta transfers $160,000 cash for 50 shares in Blue Corporation.


A) Lucy's basis in the Blue Corporation stock is $40,000.
B) Blue Corporation's basis in the land is $40,000.
C) Blue Corporation's basis in the land is $180,000.
D) Lucy recognizes a gain on the transfer of $140,000.
E) None of the above.

F) A) and B)
G) D) and E)

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Wren Corporation (a minority shareholder in Lark Corporation) has made loans to Lark Corporation that become worthless in the current year.


A) Wren Corporation is not permitted a deduction for the loans.
B) The loans result in a nonbusiness bad debt deduction to Wren Corporation.
C) The loans provide Wren Corporation with a business bad debt deduction.
D) Wren claims a capital loss due to the uncollectible loans.
E) None of the above.

F) All of the above
G) A) and B)

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When depreciable property is transferred to a controlled corporation under § 351, any recapture potential disappears and does not carry over to the corporation.

A) True
B) False

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Allen transfers marketable securities with an adjusted basis of $120,000, fair market value of $300,000, for 85% of the stock of Heron Corporation.In addition, he receives cash of $40,000.Allen recognizes a capital gain of $40,000 on the transfer.

A) True
B) False

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When a taxpayer transfers property subject to a mortgage to a controlled corporation in an exchange qualifying under § 351, the transferor shareholder's basis in stock received in the transferee corporation is increased by the amount of the mortgage on the property.

A) True
B) False

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Lark City donates land worth $300,000 and cash of $100,000 to Orange Corporation as an inducement to locate in the city. Four months later, Orange purchases additional land and a building at a cost of $500,000 and moves its operations to Lark City. Ann, the sole shareholder, contributes equipment (basis of $70,000 and fair market value of $200,000) to help Orange in its new operations. What are the tax consequences of these transfers to Orange Corporation?

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Orange Corporation will not have income ...

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Rick transferred the following assets and liabilities to Warbler Corporation. Rick transferred the following assets and liabilities to Warbler Corporation.   In return, Rick received $75,000 in cash plus 90% of Warbler Corporation's only class of stock outstanding (fair market value of $225,000) . A) Rick has a recognized gain of $60,000. B) Rick has a recognized gain of $75,000. C) Rick's basis in the stock of Warbler Corporation is $270,000. D) Warbler Corporation has the same basis in the assets received as Rick does in the stock. E) None of the above. In return, Rick received $75,000 in cash plus 90% of Warbler Corporation's only class of stock outstanding (fair market value of $225,000) .


A) Rick has a recognized gain of $60,000.
B) Rick has a recognized gain of $75,000.
C) Rick's basis in the stock of Warbler Corporation is $270,000.
D) Warbler Corporation has the same basis in the assets received as Rick does in the stock.
E) None of the above.

F) B) and E)
G) C) and D)

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Wade and Paul form Swan Corporation with the following investments. Wade transfers machinery (basis of $40,000 and fair market value of $100,000) , while Paul transfers land (basis of $20,000 and fair market value of $90,000) and services rendered (worth $10,000) in organizing the corporation. Each is issued 25 shares in Swan Corporation. With respect to the transfers:


A) Wade has no recognized gain; Paul recognizes income/gain of $80,000.
B) Neither Wade nor Paul has recognized gain or income on the transfers.
C) Swan Corporation has a basis of $30,000 in the land transferred by Paul.
D) Paul has a basis of $30,000 in the 25 shares he acquires in Swan Corporation.
E) None of the above.

F) A) and B)
G) A) and E)

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In order to encourage the redevelopment of its urban center, the city of Birmingham contributes undeveloped land (fair market value of $900,000) and cash of $350,000 to Blue Corporation. Within the year, Blue constructs a new office building at the site at a cost of $850,000. In order to encourage the redevelopment of its urban center, the city of Birmingham contributes undeveloped land (fair market value of $900,000) and cash of $350,000 to Blue Corporation. Within the year, Blue constructs a new office building at the site at a cost of $850,000.

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The use of § 351 is not limited to the initial formation of a corporation, and it can apply to later transfers as well.

A) True
B) False

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Kathleen transferred the following assets to Mockingbird Corporation. Kathleen transferred the following assets to Mockingbird Corporation.   In exchange, Kathleen received 40% of Mockingbird Corporation's only class of stock outstanding.The stock has no established value.However, all parties sincerely believe that the value of the stock Kathleen received is the equivalent of the value of the assets she transferred.The only other shareholder, Rick, formed Mockingbird Corporation five years ago. A) Kathleen has no gain or loss on the transfer. B) Mockingbird Corporation has a basis of $48,000 in the equipment and $108,000 in the land. C) Kathleen has a basis of $256,000 in the stock of Mockingbird Corporation. D) Mockingbird Corporation has a basis of $36,000 in the equipment and $144,000 in the land. E) None of the above. In exchange, Kathleen received 40% of Mockingbird Corporation's only class of stock outstanding.The stock has no established value.However, all parties sincerely believe that the value of the stock Kathleen received is the equivalent of the value of the assets she transferred.The only other shareholder, Rick, formed Mockingbird Corporation five years ago.


A) Kathleen has no gain or loss on the transfer.
B) Mockingbird Corporation has a basis of $48,000 in the equipment and $108,000 in the land.
C) Kathleen has a basis of $256,000 in the stock of Mockingbird Corporation.
D) Mockingbird Corporation has a basis of $36,000 in the equipment and $144,000 in the land.
E) None of the above.

F) A) and E)
G) B) and C)

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Ann transferred land worth $500,000, with a tax basis of $150,000, to Brown Corporation, an existing entity, for 200 shares of its stock.Brown Corporation has two other shareholders, Bill and Bob, each of whom holds 100 shares.With respect to the transfer:


A) Ann has no recognized gain.
B) Brown Corporation has a basis of $350,000 in the land.
C) Ann has a basis of $500,000 in her 200 shares in Brown Corporation.
D) Ann has a basis of $150,000 in her 200 shares in Brown Corporation.
E) None of the above.

F) B) and D)
G) D) and E)

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What is the rationale underlying the tax deferral treatment available under § 351?

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Realized gain or loss is not recognized ...

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George (an 80% shareholder) has made loans to Mountainview Corporation that become worthless in the current year. George is not employed by Mountainview.


A) George is not permitted a deduction for the worthless loans.
B) The loans provide a nonbusiness bad debt deduction to George in the current year.
C) The loans provide George with a business bad debt deduction.
D) George may claim an ordinary loss as to the worthless loans.
E) None of the above.

F) B) and C)
G) C) and D)

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Adam transfers cash of $300,000 and land worth $200,000 to Camel Corporation for 100% of the stock in Camel.In the first year of operation, Camel has net taxable income of $70,000.If Camel distributes $50,000 to Adam:


A) Adam has taxable income of $50,000.
B) Camel Corporation has a tax deduction of $50,000.
C) Adam has no taxable income from the distribution.
D) Camel Corporation reduces its basis in the land to $150,000.
E) None of the above.

F) A) and D)
G) A) and E)

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A transferor who receives stock for both property and services cannot be included in the control group in determining whether an exchange meets the requirements of § 351.

A) True
B) False

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