QUESTION
Please read the
following carefully. For each question unless
the question expressly provides to the contrary, you should assume that:
1. all events occurred in âthe current
taxable year.â
2. all persons are United States
citizens.
3. there is no tax avoidance purpose for any transaction,
and that with respect to any mortgage on any property, there was a bona fide
business purpose for incurring the debt; and
4. with respect to each partnership
question, the partnership has no hot assets, has no debts or other liabilities,
and has no Section 754 election in effect.
Choose the letter that best answers the question or
completes the sentence.
1. Jack owns 60 percent of Corporation. Corporation had acquired land known as the
Parcel in January of 2000 for $68,000 and held the Parcel for investment purposes. During the current
taxable year, Corporation sold the Parcel to Jack for $65,000 which amount was
equal to the fair market value of the Parcel. Shortly after receiving the
Parcel, Jack, never having made any gifts before, gave the Parcel to his friend Tom from college when the
property was worth $70,000. Tom sold the
Parcel two years later to Sue, a person not related to Corporation, Jack or
Tom, for $75,000. How much gain or loss
is realized and recognized as a result of these three transfers?
a. Corporation realizes a loss of $3,000 and recognizes a loss of 3,000 on the sale; Jack
realizes a gain of $8,000 and recognizes a gain of 5,000 on the transfer to
Tom; Tom realizes a gain of $5,000 and recognizes a gain of $2,000 on the
transfer to Sue.
b. Corporation realizes a loss of
$3,000 and recognizes a loss of 3,000 on the sale; Jack realizes a gain of
$5,000 and recognizes a gain of 5,000 o
the transfer to Tom; Tom realizes gain
of $5,000 and recognizes a gain of $2,000 on the transfer to Sue.
c. Corporation realizes a loss of
$3,000 and recognizes a loss of 0 on the sale; Jack does not realize or
recognize any gain or loss on the transfer to Tom; Tom realizes a gain of $10,000
and recognizes a gain of $10,000 on the transfer to Sue.
d. Corporation realizes a loss of
$3,000 and recognizes a loss of 0 on the sale; Jack realizes a gain of $5,000
and recognizes a gain of $5,000 on the transfer to Tom; Tom realizes a gain of $5,000 and recognizes
a gain of $5,000 on the transfer to Sue.
2. Corporations had the following
income and expenses during the current taxable year:
Income
from operations $250,000
Expenses
from operations $120,000
Dividends
received (from a 70 percent-owned corporation)) $ 80,000
Cash
charitable contributions $
30,000
How
much is Corporationâs charitable contribution deduction for the current taxable
year?
a.
$14,600.
b.
$21,000.
c.
$26,000.
d.
$30,000.
3. For the current taxable year, Corporationâs gross income from operations was
$1,000,000 and its expenses from operations were $1,500,000. Corporation also received a $600,000 dividend
from a 25 percent-owned corporation. How much is Corporationâs
dividends-received deduction?
a.
0.
b.
$70,000.
c.
$480,000.
d.
$600,000.
4. Ben transferred property to his
newly formed corporation, BCD Inc. The
property had an adjusted basis to Ben of $40,000 and a fair market value of
$50,000 on the date of the transfer. On
the same day, and in exchange for the property that he transferred to BCD Inc.,
Ben received a payment of $15,000 and 100 percent of BCD Inc.âs only class of
stock. The stock had a fair market value
of $35,000. How much gain was recognized by Ben as a result of this
transaction?
a.
0.
b.
$10,000.
c.
$15,000.
d.
$25,000 .
5. Sandra transferred property to her
newly formed corporation, SDA Inc. The
property had an adjusted basis to Sandra of $60,000 and a fair market value of
$100,000 on the date of the transfer and the corporation assumed an $80,000
liability on the property. On the same
day, and in exchange for the property she transferred to SDA Inc., Sandra
received a payment of $10,000 and 100 percent of SDA Inc.âs only class of
stock. How much gain was recognized by
Sandra as a result of this transaction?
a.
0.
b.
$10,000.
c.
$20,000.
d.
$30,000.
e. $40,000.
6. Sue transferred a building to her
newly formed corporation, SUECO, Inc. The building had an adjusted basis to Sue
of $75,000 and a fair market value of $150,000 on the date of the
transfer. The building was encumbered by
a mortgage of $100,000, which SUECO Inc. assumed. On the same day, and in exchange for the
building she transferred to SUECO Inc., Sue received 100 percent of SUECOâs
only class of stock. How much gain was recognized by Sue as a result of this
transaction?
a.
0.
b.
$25,000.
c.
$50,000.
d.
$75,000.
7. Bob created MNO Inc. several years
ago and has owned all 10 outstanding shares of MNO Inc. since the creation of
MNO Inc. The fair market value of those shares is now $50,000. Bobâs friend, Lee, owns a building having a
fair market value of $450,000 and an adjusted basis to Lee of $100,000. The
building is encumbered by a $130,000 mortgage.
Earlier this month, Bob and Lee discussed Leeâs becoming involved in the
business of MNO Inc., and as a result of these discussions, Lee transferred the
building to MNO Inc. and in exchange for the building, MNO Inc. transferred to
Lee 90 shares of authorized but not previously issued stock of MNO Inc. How
much gain does Lee realize and recognize as a result of these transfers?
a.
Realized
gain of 0 and recognized gain of 0.
b.
Realized
gain or $350,000, none of which is recognized.
c.
Realized
gain of $350,000 and recognized gain of $340,000.
d.
Realized
gain of $350,000 and recognized gain of $30,000 of gain.
8.
N/A
Fact
Pattern for Questions 9 and 10: Sandra owned an equipment rental business in
her sole name for four years. After her business advisors suggested that she
conduct her equipment rental activity in corporate form, she promptly
transferred the equipment to ABC Rental Corporation, a newly formed
corporation. Sandra received all of the
stock of ABC Rental Corporation in
exchange for the equipment. At the time of the transfer of the equipment to ABC
Rental Corporation, Sandraâs adjusted basis in the equipment was $50,000, the
fair market value of the building was $150,000, the equipment was subject to a security
agreement and note assumed by the corporation of $70,000, and there was
depreciation recapture potential of $12,000. Sandra received stock of ABC Rental
Corporation worth $80,000.
9. How much gain did Sandra recognize
as a result of the transaction, and what was the character of the gain?
a.
Sandra recognized $12,000 of
gain, all of which was ordinary income.
b.
Sandra recognized $20,000 of
gain, at least $12,000 of which was ordinary.
c.
Sandra recognized $30,000 of
gain, at least $12,000 of which was ordinary income.
d. Sandra recognized $100,000 of gain,
all of which was ordinary income.
10.
As a result of the transaction, what
is the corporationâs basis in the equipment?
a. $50,000.
b. $70,000.
c. $150,000.
d. $170,000.
11. NEWCO Inc. had current earnings and
profits of $50,000 when it made a nonliquidating distribution to an individual
shareholder of land that NEWCO Inc. held for use in its business. On the date the land was distributed, NEWCO
Inc.âs adjusted basis in the land was $20,000, the fair market value of the
land was $60,000, and the land was encumbered by a $40,000 mortgage, which
liability was assumed by the shareholder. After the distribution, how much are
NEWCO Inc.âs earning and profits?
a.
$30,000.
b.
$50,000.
c.
$60,000.
d.
$70,000.
12. Big Corporation distributed land to its sole shareholder,
Little Corporation, in a liquidating distribution. At the time of the distribution, the land had
a fair market value of $240,000 and Big Corporationâs adjusted basis in the
land was $200,000. The land was encumbered by a $250,000 mortgage. How much
gain did Big Corporation recognize as a result of the distribution?
a. 0.
b. $10,000.
c. $40,000.
d. $50,000.
13. Medium Inc. had one class of stock
outstanding. The one class of stock was owned 50 percent by Linda and 25 percent
by each of Lindaâs parents. In the
current taxable year, Medium Inc. redeemed 25 percent of Lindaâs 50 percent, and
in exchange for the stock, Medium Inc. distributed to Linda a building that had
an adjusted basis to Medium Inc. of $10,000 and a fair market value of
$50,000. Assume that Medium Inc.âs
current earnings and profits were
$200,000, there were no accumulated earnings and profits, and Lindaâs
total basis in her stock before the redemption was $20,000. How much is Lindaâs basis in her remaining
stock after the redemption, and what is her basis in the building?
a. Stock
basis: $10,000; building basis: $10,000.
b. Stock
basis: $10,000; building basis: $50,000.
c. Stock
basis: $20,000; building basis: $10,000.
d. Stock
basis: $20,000; building basis: $50,000.
e. None of the above.
14. A tract of land was distributed by MNO
Inc. to its sole shareholder, Martha, as a dividend. At the time of the
distribution, MNO Inc.âs adjusted basis in the land was $40,000, the fair
market value of the land was $80,000, and the land was encumbered by a $55,000
mortgage. Which of the following statements is accurate?
a.
MNO Inc.âs earnings and
profits must be increased by $15,000 (liability less basis), decreased by
$40,000 (adjusted basis), and increased by $55,000 (the amount of the
liability).
b.
The net adjustment to MNO
Incâs earnings and profits is $40,000, the amount of the realized gain.
c.
The distributing corporationâs
realized gain of $40,000 is recognized to the extent of the $15,000.
d.
The shareholderâs basis in the
land is $80,000, its fair market value.
15. XYZ Corporation had $100,000 in earnings and profits prior
to any distributions. XYZ Corporation made
a nonliquidating distribution to its sole shareholder of $30,000 in cash plus real property that had a
fair market value of $80,000 and a basis of $60,000. How much was the total
dividend income received by the shareholder as a result of the distributions
made by XYZ Corporation and what is the shareholderâs basis in the real
property received in the distribution?
a. $80,000 dividend; basis of $60,000.
b. $80,000 dividend; basis of $60,000.
c. $100,000 dividend; basis of $80,000.
d. $110,000 dividend; basis of $60,000.
e. $100,000 dividend; basis of 110,000.
16. MJJM Inc. has four equal shareholders who are
unrelated. Each shareholder owns 300
shares of the common stock of MJJM Inc. representing all of the stock of MJJM
Inc. During the taxable year, as part of
a single transaction, MJJM Inc. redeemed stock from three of the shareholders. Specifically, MJJM Inc. redeemed 150 shares from Michael, 75 shares from
Joseph, and 40 shares from John. Who will receive exchange treatment as a
result of the redemption?
a.
Michael and Joseph, as the
transaction was not essentially equivalent to a dividend.
b.
Joseph only, because the
redemption was substantially disproportionate as to Joseph.
c.
Michael only, because the
redemption was substantially disproportionate as to Michael.
d.
No one, and each of Michael,
John, and Joseph will receive dividend treatment.
17.
N/A
Fact
Pattern. Happy Inc. is a calendar year corporation. Happy Inc. had accumulated earnings
and profits of $100,000 and no current earnings and profits when it distributed
a total of $160,000 to its two equal shareholders, Betty and Bob. On the date
of the cash distribution, Bettyâs basis in her Happy Inc. stock was $20,000 and
Bobâs basis in his Happy Inc. stock was $30,000.
18. What is Bobâs adjusted basis in his
EFG Inc. stock after the distribution?
a. 0.
b. $5,000.
c. $15,000.
d. none of the above.
19. Mary received a liquidating
distribution from ABC Corporation as part of the complete liquidation of ABC Corporation.
Maryâs basis for her ABC Corporation stock was $10,000. In exchange for her stock, Mary received a
payment of $15,000 and real property that had an adjusted basis to ABC
Corporation of $10,000, a fair market value of $25,000, and that was encumbered
by a $12,000 mortgage which Mary assumed.
How much gain did Mary recognize as a result of this transaction and
what is Maryâs basis in the real property ?
a. $3,000 gain recognized, and basis
of $40,000.
b. $18,000 gain recognized, and basis
of $40,000.
c. $30,000 gain recognized, and basis
of $10,000.
d. $42,000 gain recognized, and basis
of $25,000.
e. none of the above.
20. Michael
owns stock in an S corporation. The corporation sustained a net operating loss
this year. Michaelâs pro rata share of the loss is $5,000. Michaelâs adjusted
basis in his S corporation stock is $1,000 without regard to the loss. In
addition, Michael has a loan outstanding to the corporation in the amount of
$2,000. Without regard to any passive loss limitation or any at risk rule
limitation, what amount, if any, is Michael entitled to deduct with respect to
the loss under the subchapter S rules?
a. $1,000.
b. $2,000.
c. $3,000.
d. $5,000.
e. None
of the above.
21. Beth,
who died in January 2012, was survived by her husband, Ben. Bethâs federal gross estate was equal to
$6,000,000 on the date of her death.
When Beth died, Bethâs assets included an undeveloped parcel of real
estate in Jacksonville in the names of âBeth and Ben, as joint tenants with
right of survivorship.â The fair market value of the land on the date of Beth’s
death was $750,000. Ben provided all of
the consideration for the purchase of the land, paying $200,000 for it in 2009.
Alternate valuation is not available to Bethâs estate as all assets owned by Beth
will pass, either under Bethâs last will and testament or by operation of law,
to Ben and hence, no estate tax will be due because of the marital
deduction. What is Benâs basis in the
real estate after Bethâs death?
a. $200,000.
b. $375,000.
c. $750,000.
d. none
of the above.
22. Under
Carl’s will, Carl created a testamentary trust to be funded with $700,000 worth
of assets. All of the income of the trust is payable to Carlâs child, Jane, for
her life, and thereafter, the remaining assets of the trust will pass to The
Public Charity. Jane is serving as the
trustee. In addition, the trustee has
the discretion to distribute all or such portion of the principal as the
trustee shall determine for Janeâs heath, support, and maintenance. Janeâs father, Carl, died during the current
taxable year with a gross estate of $5,350,000. (Carlâs spouse died in 1985 and no estate tax return was due
at her death). Which of the following statements is accurate with respect to
the federal estate tax?
a The estate tax charitable deduction is available
to Carlâs estate for the assets passing to The Public Charity.
b. Jane powers with respect to the
assets of the trust constitute a general power of appointment.
c. Carlâs
estate is not required to file Form 706, the Federal Estate and
Generation-Skipping Tax Return.
d. When Jane dies, her right to trust
income for life will not cause inclusion
of the assets in her gross estate.
23. At
the time of his death, Nick owned the following property:
Land held by Nick and his sister Ellen, as joint tenants with
right of survivorship. The fair market value of the land on the date of
Nickâs death was $600,000, and the land was purchased by Nick for himself and
his sister 20 years before his death
for $150,000.
Land held by Nick and Amy as tenants by the entirety. The fair market value of the land on the
date of Nickâs death was $800,000, and the land was purchased by Amy for Nick
and Amy five years before Nickâs death
for $450,000.
A one-half undivided interest in land held with Lance as tenant
in common. The fair market value of the land on the date of Nickâs death was
$400,000, and the land was purchased by Lance for Nick and Lance four years before Nickâs death for $300,000.
City of Dayton bonds worth $500,000 purchased by Nick five years
before his death, and titled in Nickâs sole name.
What amount is includible in Nickâs gross estate assuming
alternate valuation is not available to Nickâs estate?
a. $800,000.
b. $1,100,000.
c. $1,200,000.
d. $1,700,000.
24. If
an election is available and is made to use alternate valuation for federal estate tax purposes, then if a
parcel of real estate owned by the decedent is sold within six months after the
decedentâs death, the parcel of real
estate is valued for federal estate tax
purposes as of which date?
a. The
date of the decedentâs death.
b. The
date that is six months after the decedentâs of death.
c. The
date of sale of the property.
d. The
date the property is distributed to the beneficiaries.
25. Leslie
died on October 31, 2011. Prior to 2009,
Leslie had never made any gifts, but in 2010 she made some transfers.
Specifically, on January 10, 2010, Leslie gave her vacation beach house to her
five children as tenants in common. The
fair market value of the vacation beach house on the date of the transfer was
$50,000. The fair market value of the vacation beach house at the date of
Leslie’s death was $100,000. When Leslie died on October 31, 2011, she owned a
vacant lot jointly with her sister, Melissa, as joint tenants with right of
survivorship. Leslie and her sister each contributed $10,000 toward the $20,000
purchase price. The basis of the property did not change subsequent to the
purchase, and at Leslie’s death, the fair market value of the property was
$60,000. There is $90,000 of life insurance on the life of Leslie, and her
estate is named as the beneficiary. (Assume all assets have the same value on
the alternate valuation date as on the date of death). What is the amount of
Leslieâs gross estate for federal estate tax purposes?
a. $120,000.
b. $170,000.
c. $220,000.
d. $250,000.
26. Assume
for 2011 that Don made one transfer involving his granddaughter as
follows: Don opened a joint checking
account with his granddaughter, with right of survivorship, for her college
expenses. Don made an initial deposit of $100,000. During 20011, granddaughter
wrote checks on the account to the school for tuition of $15,000 and living
expenses of $20,000. What is the amount of the taxable gift for federal gift tax purposes?
a. 0.
b. $20,000.
c. $22,000.
d. $35,000.
e. none
of the above.
27. Oliver
gave his wife $5,100,000 worth of publicly traded stock in August 2011,
outright. Oliver’s basis in the stock was $50,000. What is the amount of the
taxable gift for federal gift tax purposes?
(Oliver made no other gifts to anyone in 2011).
a. 0.
b. $87,000.
c. $100,000.
d. $5,087,000.
28. For
2012, what is the amount of the maximum gift tax annual exclusion per donor
from the value of a gift of a future interest made to any one donee?
a. 0.
b. $13,000.
c. $26,000.
d. $5,000,000.
29. Facts
for Questions 29 and 30. Mr. Grey died
on January 1, 2011. Mr. Grey made no
gifts during his life. Under his will,
Mr. Grey devised all of his probate assets to his wife. Mr. Grey owned the following assets, probate
and nonprobate, at the date of his death:
Asset 1. Home in Mr.
Grey’s and Mrs. Grey’s (his surviving spouse) names as tenants by the
entireties that was purchased in 2005.
The home was had a fair market value of
$2,000,000 both at the date of Mr. Grey’s death and six months after the
Mr. Grey’s death.
Asset 2. Publicly
traded stocks and bonds solely in , Mr. Greyâs name that had a fair market value of $3,000,000 on the
date of Mr. Greyâs death and a fair market value of $2,000,000 six months after Mr. Grey’s death.
Asset 3. Undeveloped
real estate in Mr. Grey’s name and the name of his daughter, Sue Smith,
jointly with right of survivorship that
Mr. Grey purchased in 2005 for $100,000. The
property had a fair market value
of $2,500,000 at the date of Mr. Greyâs
death and a fair market value of $1,000,000 x months after the date
of Mr. Grey’s death.
Asset 4. A
condominium in the decedent’s name alone purchased in 2001 and used as a
vacation home that had a fair market value of $500,000 on the date of Mr. Greyâs death. The condominium was
sold by the personal representative of the decedent’s estate for $250,000 four
months after Mr. Greyâs death.
Based on the facts for questions 29 and
30, which of the following options are
available to Mr. Greyâs estate for valuation of the assets includible in the
gross estate?
a. The
estate may use date of death values or it may elect alternate valuation.
b. The
estate must use date of death values.
c. The
estate must elect alternate valuation.
d. Valuation
is not required as no Federal Estate Tax Return is required to be filed.
30.
Facts for Questions 29 and
30. Mr. Grey died on January 1, 2011. Mr. Grey made no gifts during his
life. Under his will, Mr. Grey devised
all of his probate assets to his wife.
Mr. Grey owned the following assets, probate and nonprobate, at the date
of his death:
Asset 1. Home in Mr.
Grey’s and Mrs. Grey’s (his surviving spouse) names as tenants by the
entireties that was purchased in 2005.
The home was had a fair market value of
$2,000,000 both at the date of Mr. Grey’s death and six months after the
Mr. Grey’s death.
Asset 2. Publicly
traded stocks and bonds solely in , Mr. Greyâs name that had a fair market value of $3,000,000 on the
date of Mr. Greyâs death and a fair market value of $2,000,000 six months after Mr. Grey’s death.
Asset 3. Undeveloped
real estate in Mr. Grey’s name and the name of his daughter, Sue Smith,
jointly with right of survivorship that
Mr. Grey purchased in 2005 for $100,000. The
property had a fair market value
of $2,500,000 at the date of Mr. Greyâs
death and a fair market value of $1,000,000 six months after the date
of Mr. Grey’s death.
Asset 4. A
condominium in the decedent’s name alone purchased in 2001 and used as a
vacation home that had a fair market value of $500,000 on the date of Mr. Greyâs death. The condominium was
sold by the personal representative of the decedent’s estate for $250,000 four
months after Mr. Greyâs death.
Based upon the facts presented in
the fact pattern for questions 32 and 33,
what is the amount of Mr. Greyâs gross estate for federal estate tax
purposes?
a. 0.
b. $2,500,000.
c. $3,500,000.
d. $4,250,000.
e. $7,000,000.
31.
Jennie purchased 50 percent of the shares of SJ Corporation, a calendar year S
corporation, for $7,000. She also guaranteed a corporate loan of $6,000. For
2011, SJ Corporation had an operating
loss of $22,000. What is the amount of SJ Corporationâs loss that Jennie may
deduct on her individual income tax return for 2011?
a. $11,000.
b. $10,000.
c. $7,000.
d. 0.
32. Which
of the following trusts is eligible to be an S corporation shareholder?
a. Electing
small business trust.
b. Eligible
foreign trust.
c. Qualified
subchapter S trust.
d. Only
a and c.
e. All
of the above trusts are eligible to be S corporation shareholders.
33.
Which of the following count as a single S corporation shareholder?
a. A
husband and wife.
b. A
spouse and a spouseâs estate.
c. Members
of a family with a common ancestor (who meet the six generations test).
d. All
of the above.
34. Ellen is a 25 percent partner in EFGH
Partners, a general partnership. Ellenâs
adjusted basis in her partnership interest is $18,000. During the current taxable year, Ellen
received a non-liquidating distribution of land from EFGH Partners that had an
adjusted basis to the partnership of $23,000 and a fair market value of $45,000
on the date of distribution. What is Ellenâs basis in the land received in the
non-liquidating distribution?
a. 0.
b. $18,000.
b. $23,000.
c. $45,000.
35. On
which of the following grounds may an S corporation may lose its S status?
a.
it issues a second class of stock.
b.
it has a nonresident alien shareholder.
c. the
number of shareholders exceeds 100.
d. all
of the above.
36. A
shareholderâs adjusted basis in the shareholderâs stock is used to make
determinations with respect to which of the following?
a. the
extent to which a distribution made by the corporation to the shareholder is
taxable.
b. the
amount of losses that shareholders may deduct in a given year.
c. the
shareholderâs realized gain or loss upon the sale or exchange of the stock.
d. all
of the above.
37. In the current year, Sue received a
liquidating distribution of real estate from UTSRQ Partnership, a general
partnership. The real estate had an
adjusted basis to the partnership of $35,000 and a fair market value of $90,000
on the date of the distribution. Sueâs adjusted basis in her 20 percent
interest in UTSRQ Partnership was $50,000.
How much gain or loss did Sue recognize on receipt of the distribution
and what is her basis in the real estate?
a. 0
gain or loss recognized and a $50,000 basis in the real estate.
b. ($15,000) loss recognized and a
$35,000 basis in the real estate.
c. 0 gain or loss recognized and a $35,000 basis in the real estate.
d. $40,000 gain recognized and a
$90,000 basis in real estate.
e. $15,000 gain recognized and a
$50,000 basis in real estate.
38. On January 1
of the current taxable year, Sam and Barbara form an equal partnership. Sam
makes a cash contribution of $60,000 and a contribution of property with an
adjusted basis to him of $160,000 and a fair market value of $140,000 in
exchange for his interest in the partnership. Barbara contributes property with
an adjusted basis to her of $120,000 and a fair market value of $200,000in
exchange for her partnership interest. Which of the following statements is
accurate regarding the income tax consequences of this transaction?
a.
Samâs adjusted basis in his partnership interest is $200,000.
b.
The partnershipâs adjusted basis in the property contributed by
Sam is
$140,000.
c.
Barbara recognized a gain of $80,000 with respect to her
contribution of property.
d.
Barbaraâs adjusted basis in her partnership interest is $120,000.
39. Tina and Betty
formed a partnership. Tina received a 40 percent interest in the
partnership in exchange for land with an
adjusted basis to her of $60,000 and a fair market value of $80,000. Betty received a 60 percent interest in the
partnership in exchange for $120,000 of cash. Three years after the date of
contribution, the land contributed by Tina
was sold by the partnership to an unrelated third party for $90,000. How
much gain was required to be allocated
to Tina as a result of the sale by the
partnership?
a. $4,000.
b. $12,000.
c. $24,000.
d. $30,000.
40. When inventory that was contributed to
a partnership in exchange for a partnership interest is eventually sold by the
partnership, how will the character of the income or loss be determined?
a. The character of any income or loss
will be ordinary regardless of when the contributed property is sold by the
partnership and regardless of the character of the asset in the hands of the
partnership.
b. The character of any income or loss
will be ordinary if the contributed property is sold by the partnership within
five years after the date of contribution regardless of the character of the
asset in the hands of the partnership
c. The character of any income or loss
will be based on the character of the asset in the hands of the
partnership regardless of when the
contributed property is sold by the partnership.
d. The character of any income or loss
will be ordinary to the extent of the contributing partnerâs built-in gain or
loss in the property at the time of the contribution regardless of when the
contributed property is sold, and any balance will based on the character of
the asset in the hands of the partnership.
41. Barbara and Bill formed an equal
partnership, B&B, a general
partnership, on January 1, 2011. Barbara contributed $100,000 in exchange for
her one-half interest. Bill contributed
land worth $100,000 that had an adjusted basis to him of $30,000 in exchange for his one-half
interest. Which of the following statements is accurate with respect to
this transaction?
a. None of Barbara, Bill, or
B&B recognized any gain or loss.
b. Bill recognized gain of $70,000 ,
but Barbara and B&B did not recognize any gain or loss.
c. B&B recognized gain or $70,000 ,
but Barbara and Bill did not recognize any gain or loss.
d. Bill and B&B each recognized
$70,000 of gain, but Barbara did not recognize any gain or loss.
42. Ten years ago, Lisa acquired a
one-third interest in Dee Associates, a general partnership. In the current
taxable year, when Lisaâs entire interest in the partnership was liquidated,
Dee Associatesâ assets consisted of cash of $20,000 and tangible property with
an adjusted basis to the partnership of $46,000 and a fair market value of
$40,000 on the date of distribution. Dee Associates had no liabilities. Lisaâs
adjusted basis in her one-third interest in the partnership was $22,000. Lisa
received cash of $20,000 in complete liquidation of her entire interest. How
much loss will Lisa recognize upon receipt of the liquidating distribution?
a. 0.
b. $2,000 short-term capital loss.
c. $2,000 long-term capital loss.
d. $2,000 ordinary loss.
43. Jim, one of two equal partners of the
JJ Partnership, a general partnership, contributed business property with an
adjusted basis to him of $15,000 and a fair market value of $10,000 to the JJ
Partnership. Jimâs capital account was
credited with $10,000. The property later was sold for $12,000. As a result of
this sale, how much gain or loss must
Jim report on his personal income tax return?
a. $1,000 gain.
b. $1,500 loss.
c. $2,000 gain.
d. $3,000 loss.
44. Ronald and Roy formed an equal
partnership, R&R Partnership, a general partnership, on January 1, 2012.
Ronald contributed $100,000 in exchange for his one-half interest in R&R
partnership. Roy contributed land worth $100,000 and with an adjusted basis to Roy of $30,000 in exchange
for his one-half interest in the partnership.
Roy is a real estate developer, and at the time of the contribution, the
land was inventory in his hands. The land is a capital asset in the hands
of R&R Partnership. If R&R Partnership sells the land in 2018 to
an unrelated taxpayer for $180,000,how much gain will be recognized by R&R
Partnership and what will be the character of the gain?
a. $80,000, all of which gain will be
ordinary income
b. $150,000, all of which gain will be
capital gain.
c. $150,000, all of which gain will
be ordinary income.
d. $150,000, consisting of $80,000
capital gain and $70,000 ordinary income.
45. At the beginning of 2012, Margaretâs adjusted basis in her 30
percent interest in MP Partnership, a
general partnership, was $3,000. During 2012, Margaret did not make any
additional contributions to MP Partnership, and Margaretâs share of MP
Partnership liabilities did not change.
During 2012, MP Partnership distributed $5,000 to Margaret, and MP
Partnership had the following items of partnership income, deduction, gain and
loss for 2012:
Taxable
income $15,000
Tax-exempt
interest $6,000
Section
1231 loss ($10,000)
What is
Margaretâs adjusted basis in her partnership interest in MP Partnership at the
end of 2012?
a. 0.
b. $1,300.
c. $9,000.
d. $2,700.
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