Tiffany and Carlos decided to liquidate their jointly owned corporation, Royal Oak Furniture (ROF). After liquidating its remaining inventory and paying off its remaining liabilities, ROF had the following tax accounting balance sheet: Adjusted Тах Basis $ 275,500 Appreciation (Depreciation) FMV $ 275,500 73,000 202,500 Cash Building 25,250 255,000 47,750 (52,500) Land $ 551,000 $ 555,750 $ (4,750) Total Under the terms of the agreement, Tiffany will receive the $275,500 cash in exchange for her 50 percent interest in ROF. Tiffany's tax basis in her ROF stock is $56,500. Carlos will receive the building and land in exchange for his 50 percent interest in ROF. His tax basis in the ROF stock is $133,500. Assume for purposes of this problem that the cash available to distribute to the shareholders has been reduced by any tax paid by the corporation on gain recognized as a result of the liquidation. (Negative amounts should be indicated by a minus sign.) Assume Tiffany owns 40 percent of the ROF stock and Carlos owns 60 percent. Tiffany will receive $220,400 in the liquidation and Carlos will receive the land and building plus $55,100. f. What amount of gain or loss does Tiffany recognize in the complete liquidation? Gain or loss recognized

SWFT Corp Partner Estates Trusts
42nd Edition
ISBN:9780357161548
Author:Raabe
Publisher:Raabe
Chapter6: Corporations: Redemptions And Liquidations
Section: Chapter Questions
Problem 65P
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Tiffany and Carlos decided to liquidate their jointly owned corporation, Royal Oak Furniture (ROF). After liquidating its
remaining inventory and paying off its remaining liabilities, ROF had the following tax accounting balance sheet:
Appreciation
(Depreciation)
Adjusted
Тах Basis
$ 275,500
25,250
FMV
$ 275,500
73,000
Cash
Building
47,750
202,500
$ 551,000
255,000
$ 555,750
Land
(52,500)
Total
$ (4,750)
Under the terms of the agreement, Tiffany will receive the $275,500 cash in exchange for her 50 percent interest in ROF.
Tiffany's tax basis in her ROF stock is $56,500. Carlos will receive the building and land in exchange for his 50 percent
interest in ROF. His tax basis in the ROF stock is $133,500. Assume for purposes of this problem that the cash available to
distribute to the shareholders has been reduced by any tax paid by the corporation on gain recognized as a result of the
liquidation. (Negative amounts should be indicated by a minus sign.)
Assume Tiffany owns 40 percent of the ROF stock and Carlos owns 60 percent. Tiffany will receive $220,400 in the liquidation and
Carlos will receive the land and building plus $55,100.
f. What amount of gain or loss does Tiffany recognize in the complete liquidation?
Gain or loss recognized
Transcribed Image Text:Tiffany and Carlos decided to liquidate their jointly owned corporation, Royal Oak Furniture (ROF). After liquidating its remaining inventory and paying off its remaining liabilities, ROF had the following tax accounting balance sheet: Appreciation (Depreciation) Adjusted Тах Basis $ 275,500 25,250 FMV $ 275,500 73,000 Cash Building 47,750 202,500 $ 551,000 255,000 $ 555,750 Land (52,500) Total $ (4,750) Under the terms of the agreement, Tiffany will receive the $275,500 cash in exchange for her 50 percent interest in ROF. Tiffany's tax basis in her ROF stock is $56,500. Carlos will receive the building and land in exchange for his 50 percent interest in ROF. His tax basis in the ROF stock is $133,500. Assume for purposes of this problem that the cash available to distribute to the shareholders has been reduced by any tax paid by the corporation on gain recognized as a result of the liquidation. (Negative amounts should be indicated by a minus sign.) Assume Tiffany owns 40 percent of the ROF stock and Carlos owns 60 percent. Tiffany will receive $220,400 in the liquidation and Carlos will receive the land and building plus $55,100. f. What amount of gain or loss does Tiffany recognize in the complete liquidation? Gain or loss recognized
Expert Solution
Step 1

Gain on sale of interest in a corporation

= Consideration received - Tax basis in ROF stock.

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