A shareholder's holding period for stock received under $ 351 can include the holding period of...
16. The transferor's holding period for any stock received in exchange for a capital asset under a tax free Sect.351(a) exchange A) begins on the day after the exchange. B) includes the holding period for the property transferred. C) begins on the day of the exchange. D) none of the above
for a taxpayer transferring property to a corporation in a section 351 transaction the stock received in the transfaction is given a carryover basis. true or false In a 351 transaction any corporate debt or securities received are treated as boot because they donot qualify as stock. true or false
Discussion Question 4-11 (LO. 3) With respect to the calculation of the basis of stock received by a shareholder in a $ 351 transfer, label each of the following as being either "True" or "False" a. If a shareholder transfers a liability to the corporation along with property, the basis in the stock received is reduced by the amount of the liability transferred to the corporation. b. Section 362(e)(2) generally requires the corporation to step down the carryover basis for...
35t Indudes the holding period of the transferor shareholder A corporation's holding period for property received under True False
Question 23 S corporations must allocate income to shareholders based on their proportionate stock ownership. True False A sole proprietor is required to use the same reporting period for both business and individual tax information. True False The transferor's holding period for any boot property received in a Sec. 351 stock exchange includes the holding period for the boot transferred. begins on the day of the exchange. is the same as the holding period of the stock received in the...
Because services are not considered property under 5 351, a taxpayer must report as income the fair market value of stock received for such services, O True False 216833
Under some circumstances, a corporation can refuse a shareholder's request to inspect corporate records. true or false
ORGANIZATION OF A CORPORATION: SECTION 351 and RELATED PROBLEMS 3B Boot; Basis; Debt; “Midstream” Issues (1)(a) Section 351(a) applies. Upon exchange with X, (1) A’s amount realized is $100; (2) A’s gain realized is $60; (3) nothing is recognized, because of § 351(a); (4) A’s basis in stock received is $40 under § 358(a)(1); (5) A’s holding period in the stock tacks under § 1223(1); (6) X’s basis in property is $40 under § 362(a)(1); (7) X’s holding period for...
(13) Identify which of the following statements is true. A) If stock and boot property are both received in a Sec. 351 exchange, the transferor must allocate the total basis in the contributed property between the stock and boot property based on the relative FMVs of the stock and the boot property. B) The adjusted basis of stock received in a Sec. 351 transaction is computed by deducting the deferred loss from the FMV of the stock received. C) The...
Question 1) What is a carryover basis as it relates to property received by a corporation in a §351 transaction? What is the purpose of attaching a carryover basis to property received in a §351 transaction? Under what circumstances does property received by a corporation in a §351 transaction not receive a carryover basis? What is the reason for this rule? What is a substituted basis as it relates to stock received in exchange for property in a §351 transaction?...