Student Name
Capella University
BUS-FPX4065 Income Tax Concepts and Strategies
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Date
Darrel, Sissy, and Carol formed a partnership with specific contributions and ownership terms. Darrel contributed equipment, Sissy provided a building, and Carol agreed to perform all accounting and office-related work in exchange for a 10% partnership interest.
Gain Recognition
Basis for Each Partner
Basis for Partnership Assets
Wayne had an initial basis of $46,000 in his partnership. His share of income and expenses for the year included ordinary income, guaranteed payments, long-term capital gain, §1231 gain, charitable contributions, §179 expenses, and cash distributions.
Karen had a partnership basis of $24,000 and received a $12,000 cash distribution along with equipment valued at $16,000 (FMV $24,000).
Carrie acquired a 40% partnership interest for $86,000 in February 2017. Over subsequent years, her share of partnership income amounted to $118,000. She sold her interest for $206,000 on December 18, 2019.
Stock basis was determined for various scenarios where the 80% rule was satisfied:
Scenario | Basis |
---|---|
Contribution of property | $2,000 |
Contribution of property with cash | $6,000 |
Contribution of property with additional property | $16,400 |
Contribution of building with mortgage | $50,000 |
Contribution of building with mortgage | $0 |
Taxable income for a C corporation was calculated based on book income and adjustments:
Scenario | Taxable Income |
---|---|
Adjusted for given data | $103,000 |
Adjusted for additional data | $195,300 |
Adjusted for specific case | $138,420 |
Final scenario | $237,800 |
Taxable dividends, nontaxable distributions, and capital gains were determined for different types of distributions:
Distribution | Taxable Dividend | Nontaxable Distribution | Capital Gain |
---|---|---|---|
Scenario A | $12,000 | – | – |
Scenario B | $13,000 | – | – |
Scenario C | $32,000 | $2,000 | – |
Scenario D | $28,000 | $22,000 | $2,000 |
American Psychological Association. (2020). Publication manual of the American Psychological Association (7th ed.). Washington, DC: Author.
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