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Which of the following statements is correct with respect to the § 338 election?


A) The subsidiary corporation makes the § 338 election.
B) A qualified stock purchase occurs when a corporation acquires,in a taxable transaction,at least 80% of the stock (voting power and value) of another corporation within an 18-month period.
C) The parent recognizes no gain (loss) as a result of the election.
D) Gain,but not loss,is recognized by the subsidiary as a result of a deemed sale of its assets.
E) None of the above.

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

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The Federal income tax treatment of a corporate restructuring is an extension of allowing entities to form without taxation.

A) True
B) False

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Obtaining a positive letter ruling from the IRS can ensure the desired tax treatment for parties contemplating a corporate reorganization.

A) True
B) False

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Brown Corporation purchased 85% of the stock of Green Corporation five years ago for $850,000.In the current year,Brown Corporation liquidates Green Corporation and acquires assets with a basis to Green Corporation of $700,000 (fair market value of $1.1 million).Brown Corporation will have a basis in the assets of $850,000,the same as Brown's basis in its Green stock.

A) True
B) False

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Which of the following statements is true concerning all types of tax-free corporate reorganizations?


A) Assets are transferred from one corporation to another.
B) Stock is exchanged with shareholders.
C) Liabilities that are assumed when cash is also used as consideration will be treated as boot.
D) Corporations and shareholders involved in the reorganization will recognize gains but not losses.
E) None of the above statements is true.

F) None of the above
G) A) and C)

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The related-party loss limitation in a complete liquidation applies only to distributions of property while the built-in loss limitation can apply to a distribution or sale of property.

A) True
B) False

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Target shareholders recognize gain or loss when they receive assets (boot) as well as stock in the acquiring corporation in a transaction meeting the § 368 requirements.

A) True
B) False

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Liquidation expenses incurred by a corporation are generally deductible as § 162 trade or business expenses.

A) True
B) False

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The amount of gain recognized by a shareholder in a corporate reorganization is based on the shareholder's proportionate share of E & P.

A) True
B) False

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The stock of Lavender Corporation is held as follows: 80% by Jade Corporation (basis of $400,000) and 20% by Tiffany (basis of $100,000) .Lavender Corporation is liquidated in December of the current year,pursuant to a plan adopted earlier in the year.Pursuant to the liquidation,Lavender Corporation distributed Asset A (basis of $600,000,fair market value of $900,000) to Jade,and Asset B (basis of $250,000,fair market value of $225,000) to Tiffany.No election is made under § 338.With respect to the liquidation of Lavender:


A) Lavender recognizes a loss of $25,000 on the distribution of Asset B.
B) Jade has a basis in Asset A of $900,000.
C) Tiffany has a basis in Asset B of $225,000.
D) Jade recognizes a gain of $500,000.
E) Lavender recognizes a gain of $300,000 on the distribution of Asset A.

F) B) and D)
G) None of the above

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For a corporate restructuring to qualify as a tax-free reorganization,the step transaction doctrine must apply.

A) True
B) False

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Acquiring Corporation transfers $500,000 stock and land with a value of $400,000 (basis of $250,000) to Target for most of its assets.The assets not acquired in the "Type A" reorganization are distributed to Target's shareholder,Tia.They are valued at $100,000 (basis of $120,000).Acquiring stock and the land also are distributed to Tia in exchange for her stock in Target.Tia's basis in her stock is $650,000.What is the gain or loss recognized by Acquiring,Target,and Tia on this restructuring? What is Tia's basis in the Acquiring stock?

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Acquiring recognizes $150,000 gain on la...

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