Exercise 20-15 (LO. 1) On January 4, 2018, Martin Corporation acquires two properties from a shareholder solely in exchange for stock in a transaction that qualifies under § 351. The shareholder's basis, the fair market value, and the built-in gain (loss) of each property are: Property 1 Property 2 Net built-in loss Shareholder's Fair Market Built in Gain Basis Value or (Loss) $300,000 $375,000 $525,000 $400,000 $75,000 ($125,000) ($50,000) Martin adopts a plan of liquidation later in the year and distributes Property 2 to a 30% shareholder when the property is worth $350,000. a. Compute Martin's basis in Property 1 and in Property 2 as of January 4, 2018. Martin's basis is Property 1 is a carryover ✓ basis of $ Martin's basis in Property 2 is a stepped-down ✔ basis of $

SWFT Comprehensive Volume 2019
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Chapter20: Corporations: Distributions In Complete Liquidation And An Overview Of Reorganizations
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Exercise 20-15 (LO. 1)
On January 4, 2018, Martin Corporation acquires two properties from a shareholder solely in exchange for stock in a transaction that
qualifies under § 351. The shareholder's basis, the fair market value, and the built-in gain (loss) of each property are:
Property 1
Property 2
Net built-in loss
Shareholder's Fair Market Built in Gain
Basis
Value
or (Loss)
$300,000
$75,000
$525,000
($125,000)
($50,000)
Martin adopts a plan of liquidation later in the year and distributes Property 2 to a 30% shareholder when the property is worth $350,000.
a. Compute Martin's basis in Property 1 and in Property 2 as of January 4, 2018.
Martin's basis is Property 1 is a carryover ✔ basis of $
Martin's basis in Property 2 is a stepped-down ✓✔ basis of $
Feedback
$375,000
$400,000
b. Compute Martin's realized and recognized loss on the liquidating distribution of Property 2.
Martin has
realized loss of $
and a recognized loss of $
▼ Check My Work
When property is transferred to a corporation in a § 351 transaction or as a contribution to capital, carryover basis rules generally apply. Without
special limitations, transfer of loss property in a carryover basis transaction would present opportunities for the duplication of losses.
Transcribed Image Text:Exercise 20-15 (LO. 1) On January 4, 2018, Martin Corporation acquires two properties from a shareholder solely in exchange for stock in a transaction that qualifies under § 351. The shareholder's basis, the fair market value, and the built-in gain (loss) of each property are: Property 1 Property 2 Net built-in loss Shareholder's Fair Market Built in Gain Basis Value or (Loss) $300,000 $75,000 $525,000 ($125,000) ($50,000) Martin adopts a plan of liquidation later in the year and distributes Property 2 to a 30% shareholder when the property is worth $350,000. a. Compute Martin's basis in Property 1 and in Property 2 as of January 4, 2018. Martin's basis is Property 1 is a carryover ✔ basis of $ Martin's basis in Property 2 is a stepped-down ✓✔ basis of $ Feedback $375,000 $400,000 b. Compute Martin's realized and recognized loss on the liquidating distribution of Property 2. Martin has realized loss of $ and a recognized loss of $ ▼ Check My Work When property is transferred to a corporation in a § 351 transaction or as a contribution to capital, carryover basis rules generally apply. Without special limitations, transfer of loss property in a carryover basis transaction would present opportunities for the duplication of losses.
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