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Petoskey Stone Quarry Inc. (PSQ), a calendar-year, accrual-method C corporation, provides landscaping supplies to local build

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Answer #1

Answer 1)

Sandler will have a dividend of $500,000. Under the family attribution rules, Sandler is deemed to own the shares of stock of his son Nick (150) and his grandchildren Abigail (50) and Charlie (50). He is not deemed to own any of Amy’s stock. Prior to the redemption, Sandler owns350 / 500 shares = 70%. After the redemption, assuming he does not waive the family attribution rules, Sandler is deemed to own 250 / 400 = 62.5% of the company’s stock. The company has ample E&P to absorb the distribution to Sandler on December 31 and the distribution of $150,000 (500 x $300) on December 1.

Answer 2a)

Sandler’s unused tax basis in his stock of $10,000 will be allocated to Nick, Abigail, and Charlie on a pro rata basis because they caused him to fail the exchange test.

Answer 2b)

Sandler must file a triple i agreement with the IRS to waive the family attribution rules. He will then have a capital gain of $490,000 ($500,000 - $10,000) because he will be treated as having a complete termination of his interest in PSQ.

Answer 2c)

Particulars                                       Amount($)

Current E&P                                                         200,000

Subtract:

Cash dividends on December 1                          (150,000)

Current E&P on December 31 after dividends. 50,000

Accumulated E&P, beginning of 2010 2,500,000

Accumulated E&P at December 31 2,550,000

Subtract:

Lower of - cash distributed = $500,000           

or 20% x $2,550,000 = $510,000 (500,000)

Accumulated E&P at January 1, 2011   2,050,000

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