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A shareholder contributes land to his wholly owned corporation but receives no stock in return. The corporation has a zero basis in the land.

A) True
B) False

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For § 351 purposes, stock rights and stock warrants are included in the definition of "stock."

A) True
B) False

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In determining whether § 357(c) applies, assess whether the liabilities involved exceed the bases of all assets a shareholder transfers to the corporation.

A) True
B) False

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Earl and Mary form Crow Corporation. Earl transfers property, basis of $200,000 and value of $1,600,000, for 50 shares in Crow Corporation. Mary transfers property, basis of $80,000 and value of $1,480,000, and agrees to serve as manager of Crow for one year; in return Mary receives 50 shares of Crow. The value of Mary's services is $120,000. With respect to the transfers:


A) Mary will not recognize gain or income.
B) Earl will recognize a gain of $1,400,000.
C) Crow Corporation has a basis of $1,480,000 in the property it received from Mary.
D) Crow will have a business deduction of $120,000 for the value of the services Mary will render.
E) None of the above.

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

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Mitchell and Powell form Green Corporation. Mitchell transfers property (basis of $105,000 and fair market value of $90,000) while Powell transfers land (basis of $8,000 and fair market value of $75,000) and $15,000 of cash. Each receives 50% of Green Corporation's stock (total value of $180,000) . As a result of these transfers:


A) Mitchell has a recognized loss of $15,000, and Powell has a recognized gain of $67,000.
B) Neither Mitchell nor Powell has any recognized gain or loss.
C) Mitchell has no recognized loss, but Powell has a recognized gain of $15,000.
D) Green Corporation will have a basis in the land of $23,000.
E) None of the above.

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

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In general, the basis of property to a corporation in a transfer that qualifies as a nontaxable exchange under § 351 is the basis in the hands of the transferor shareholder decreased by the amount of any gain recognized on the transfer.

A) True
B) False

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

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Joyce, a single taxpayer, transfers property (basis of $120,000 and fair market value of $60,000) to Wren Corporation in exchange for shares of § 1244 stock. As the transfer qualifies under § 351, Joyce takes a $120,000 basis in the Wren stock. In the current year, Joyce sells the Wren Corporation stock for $40,000. What are the consequences of the sale to Joyce?

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Joyce recognizes a loss of $80,000 [$40,...

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In order to encourage the development of an industrial park, a county donates land to Ecru Corporation. The donation does not result in gross income to Ecru.

A) True
B) False

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If a transaction qualifies under § 351, any recognized gain is equal to the value of the boot received.

A) True
B) False

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Ira, a calendar year taxpayer, purchases as an investment stock in Redbird Corporation on November 3, 2015. On February 2, 2016, Redbird Corporation is declared bankrupt, and Ira's stock becomes worthless. Presuming § 1244 (stock in a small business corporation) does not apply, Ira has a short-term capital loss for 2016.

A) True
B) False

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Similar to the like-kind exchange provision, § 351 can be partly justified under the wherewithal to pay concept.

A) True
B) False

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Ann transferred land worth $200,000, with a tax basis of $40,000, to Brown Corporation, an existing entity, for 100 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 $160,000 in the land.
C) Ann has a basis of $200,000 in her 100 shares in Brown Corporation.
D) Ann has a basis of $40,000 in her 100 shares in Brown Corporation.
E) None of the above.

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

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Kevin and Nicole form Indigo Corporation with the following transfers: inventory from Kevin (basis of $360,000 and fair market value of $400,000) and improved real estate from Nicole (basis of $320,000 and fair market value of $375,000) . Nicole, an accountant, agrees to contribute her services (worth $25,000) in organizing Indigo. The corporation's stock is distributed equally to Kevin and Nicole. As a result of these transfers:


A) Indigo can deduct $25,000 as a business expense.
B) Nicole has a recognized gain of $55,000 on the transfer of the real estate.
C) Indigo has a basis of $360,000 in the inventory.
D) Indigo has a basis of $375,000 in the real estate.
E) None of the above.

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

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When Pheasant Corporation was formed under § 351, Kristen transferred property (basis of $26,000 and fair market value of $22,500) for § 1244 stock. Kristen's basis in the Pheasant stock is $26,000. Three years later, Pheasant Corporation goes bankrupt and its stock becomes worthless. Kristen, who is single, owned the stock as an investment. Kristen's loss is:


A) $26,000 capital.
B) $22,500 ordinary and $3,500 capital.
C) $3,500 ordinary and $22,500 capital.
D) $26,000 ordinary.
E) None of the above.

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

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Karen formed Grebe Corporation with an investment of $100,000 cash, for which she received $10,000 in stock and $90,000 in 7% interest-bearing bonds maturing in ten years. A few years later, Karen loaned Grebe an additional $60,000 on open account. Grebe becomes insolvent in the current year and is adjudged bankrupt. Karen was the president of Grebe Corporation and was paid an annual salary of $50,000 for the past three years. Karen has no other employment. How will Karen treat her losses for tax purposes?

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If the stock is § 1244 stock, Karen has ...

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Hazel transferred the following assets to Starling Corporation.  Fair Market  Adjusted Basis Value  Cash $120,000$120,000 Machinery 48,00036,000 Land 108,000144,000\begin{array}{lrr}&&\text { Fair Market }\\&\text { Adjusted Basis }&\text {Value }\\\text { Cash } & \$ 120,000 & \$ 120,000 \\\text { Machinery } & 48,000 & 36,000 \\\text { Land } & 108,000 & 144,000\end{array} ? In exchange, Hazel received 50% of Starling Corporation's only class of stock outstanding. The stock has no established value. However, all parties believe that the value of the stock Hazel received is the equivalent of the value of the assets she transferred. The only other shareholder, Rick, formed Starling Corporation five years ago.


A) Hazel has no gain or loss on the transfer.
B) Starling Corporation has a basis of $48,000 in the machinery and $108,000 in the land.
C) Starling Corporation has a basis of $36,000 in the machinery and $144,000 in the land.
D) Hazel has a basis of $276,000 in the stock of Starling Corporation.
E) None of the above.

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

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The receipt of nonqualified preferred stock in exchange for the transfer of appreciated property to a controlled corporation results in recognition of gain to the transferor.

A) True
B) False

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Eileen transfers property worth $200,000 (basis of $190,000) to Goldfinch Corporation. In return, she receives 80% of the stock in Goldfinch Corporation (fair market value of $180,000) and a long-term note (fair market value of $20,000) executed by Goldfinch and made payable to Eileen. Eileen recognizes gain on the transfer of:


A) $0.
B) $10,000.
C) $20,000.
D) $190,000.
E) None of the above.

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

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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) C) and D)
G) A) and B)

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