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Jeordie and Kendis created the JK Partnership by contributing $100,000 each.The $200,000 cash was used by the partnership to acquire a depreciable asset.The partnership agreement provides that the partners' capital accounts will be maintained in accordance with Reg.§ 1.704-1(b) (the "economic effect" Regulations) and that any partner with a deficit capital account will be required to restore that capital account when the partner's interest is liquidated.The partnership agreement provides that MACRS will be allocated 20% to Jeordie and 80% to Kendis.All other items of partnership income, gain, loss, deduction, and credit will be allocated equally between the partners.In the first year, MACRS is $40,000 and no other operating transactions occur.The property is sold at the end of the year for $160,000 and the partnership is liquidated immediately thereafter. To satisfy the economic effect test, how much of the $160,000 cash (from the sale) is allocated each to Jeordie and Kendis?

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Distributions upon liquidation must foll...

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At the beginning of the tax year, Zach's basis for his partnership interest and his amount at risk in the partnership was $30,000. His share of partnership items for the year consisted of tax-exempt interest income of $2,000 and an ordinary loss of $44,000. He also received a distribution from the partnership of $20,000 cash during the year. For the tax year, Zach will report:


A) A nontaxable distribution of $20,000, an ordinary loss of $10,000, and a suspended loss carryforward of $34,000.
B) An ordinary loss of $32,000, a suspended loss carryforward of $12,000, and a taxable distribution of $20,000.
C) A nontaxable distribution of $20,000, an ordinary loss of $12,000, and a suspended loss carryforward of $32,000.
D) An ordinary loss of $44,000 and a nontaxable distribution of $20,000.

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

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Landon received $50,000 cash and a capital asset (basis of $70,000, fair market value of $80,000) in a proportionate liquidating distribution.His basis in his partnership interest was $100,000 prior to the distribution.How much gain or loss does Landon recognize and what is his basis in the asset received?


A) $0 gain or loss; $70,000 basis.
B) $0 gain or loss; $50,000 basis.
C) $20,000 gain; $70,000 basis.
D) $30,000 gain; $70,000 basis.
E) $30,000 gain; $80,000 basis.

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

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The primary purpose of the partnership agreement is to document the various tax elections made by the partners regarding depreciation methods, treatment of research and experimental costs, calculation of the § 199 deduction, and the § 754 election.

A) True
B) False

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The partnership reports each partner's share of income to the partner in a single amount on Form 1099.

A) True
B) False

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In a proportionate nonliquidating distribution, cash is deemed to be distributed first, followed by unrealized receivables and inventory and, last, capital and other assets.

A) True
B) False

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Megan's basis was $100,000 in the MAR Partnership interest just before she received a proportionate nonliquidating distribution consisting of land held for investment (basis of $80,000, fair market value of $100,000) and inventory (basis of $60,000, fair market value of $50,000) .After the distribution, Megan's bases in the land and inventory are, respectively:


A) $80,000 (land) and $20,000 (inventory) .
B) $100,000 (land) and $0 (inventory) .
C) $40,000 (land) and $60,000 (inventory) .
D) $50,000 (land) and $50,000 (inventory) .
E) None of the above.

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

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Randi owns a 40% interest in the capital and profits of the RAY Partnership.Immediately before she receives a proportionate nonliquidating distribution from RAY, the basis for her partnership interest is $60,000.The distribution consists of $45,000 in cash and land with a fair market value of $72,000.RAY's adjusted basis in the land immediately before the distribution is $36,000.As a result of the distribution, Randi recognizes a gain of $21,000.

A) True
B) False

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In a limited liability partnership, all partners are protected from all debts of the partnership.

A) True
B) False

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Tara and Robert formed the TR Partnership four years ago.Because they decided the company needed some expertise in multimedia presentations, they offered Katie a 1/3 interest in partnership capital if she would come to work for the partnership.She will also receive a 25% interest in future partnership profits.On July 1 of the current year, the unrestricted partnership capital interest (fair market value of $25,000) was transferred to Katie.How should Katie treat the receipt of the partnership interest in the current year?


A) Nontaxable.
B) $25,000 ordinary income.
C) $25,000 short-term capital gain.
D) $25,000 long-term capital gain.
E) None of the above.

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

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Which of the following partnership owners is personally liable for the entity's debts to general creditors?


A) A partner in a limited liability partnership.
B) A member of a limited liability company.
C) A limited partner in a limited partnership.
D) A general partner in a limited partnership.
E) None of these owners are personally liable for entity debts.

F) A) and B)
G) A) and D)

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Martha receives a proportionate nonliquidating distribution when the basis of her partnership interest is $50,000.The distribution consists of $60,000 cash and noninventory property (adjusted basis to the partnership of $20,000, fair market value of $23,000) .How much gain or loss does Martha recognize, and what is her basis in the distributed property and in her partnership interest following the distribution?


A) $0 gain or loss; $20,000 basis in property; $0 basis in partnership interest.
B) $0 gain or loss; $23,000 basis in property; $2,000 basis in partnership interest.
C) $10,000 capital gain; $0 basis in property; $0 basis in partnership interest.
D) $10,000 capital gain; $20,000 basis in property; $0 basis in partnership interest.
E) $10,000 ordinary income; $0 basis in property; $10,000 basis in partnership interest.

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

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Section 721 provides that no gain or loss is recognized on a contribution of property to a partnership in exchange for an interest in the partnership.An exception might apply if the taxpayer receives a cash distribution from the partnership soon after the property contribution is made.

A) True
B) False

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If a partnership allocates losses to the partners, the partners must first apply the passive loss limitations, then the basis limitation, and finally the at-risk limitations.If all three hurdles are met, the partner may deduct the loss.

A) True
B) False

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Which of the following is an election or calculation made by the partner rather than the partnership?


A) Whether to claim a tax credit or deduction for foreign taxes.
B) Whether to capitalize, amortize, or expense research and experimental costs.
C) The taxable year of the partnership.
D) The depreciation method used for partnership property.
E) All of the above elections are made by the partnership.

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

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Which of the following is a correct definition of a concept related to partnership taxation?


A) The aggregate concept treats partners and partnerships as separate units and gives the partnership its own tax "personality."
B) A partner's capital sharing ratio is defined as the percent of partnership assets (capital) that would be allocated to the partner upon liquidation of the partnership.
C) The partnership's outside basis is defined as the sum of each partner's capital account balance.
D) A special allocation is defined as an amount that could differently affect the tax liabilities of two or more partners.
E) None of these statements is correct.

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

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The BLM LLC's balance sheet on August 31 of the current year is as follows. The BLM LLC's balance sheet on August 31 of the current year is as follows.   The nonrecourse debt is shared equally among the LLC members.On that date, Lillie sells her one-third interest to Robyn for $170,000, including cash and relief of Lillie's share of the nonrecourse debt.Lillie's outside basis for her interest in the LLC is $50,000, including her share of the LLC's debt.How much capital gain and/or ordinary income will Lillie recognize on the sale? A) $100,000 capital gain; $50,000 ordinary income. B) $120,000 capital gain; $0 ordinary income. C) $150,000 capital gain; $0 ordinary income. D) $70,000 capital gain; $50,000 ordinary income. E) None of the above. The nonrecourse debt is shared equally among the LLC members.On that date, Lillie sells her one-third interest to Robyn for $170,000, including cash and relief of Lillie's share of the nonrecourse debt.Lillie's outside basis for her interest in the LLC is $50,000, including her share of the LLC's debt.How much capital gain and/or ordinary income will Lillie recognize on the sale?


A) $100,000 capital gain; $50,000 ordinary income.
B) $120,000 capital gain; $0 ordinary income.
C) $150,000 capital gain; $0 ordinary income.
D) $70,000 capital gain; $50,000 ordinary income.
E) None of the above.

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

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The "outside basis" is defined as a partner's basis in the partnership interest.

A) True
B) False

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In the current year, Derek formed an equal partnership with Cody.Derek contributed land with an adjusted basis of $110,000 and a fair market value of $200,000.Derek also contributed $50,000 cash to the partnership.Cody contributed land with an adjusted basis of $80,000 and a fair market value of $230,000.The land contributed by Derek was encumbered by a $60,000 nonrecourse debt.The land contributed by Cody was encumbered by $40,000 of nonrecourse debt.Assume the partners share debt equally.Immediately after the formation, what is the basis of Cody's partnership interest?

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$90,000. C...

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The MOP Partnership is involved in leasing heavy equipment under long-term leases of five years or more.Patricia has an adjusted basis for her partnership interest on January 1 of the current year of $600,000, consisting of the following: The MOP Partnership is involved in leasing heavy equipment under long-term leases of five years or more.Patricia has an adjusted basis for her partnership interest on January 1 of the current year of $600,000, consisting of the following:    During the year, the partnership has an operating loss of $1.2 million and distributes $60,000 of cash to Patricia.Partnership liabilities were the same at the end of the tax year, and the nonrecourse debt is not  qualified nonrecourse debt.  If she owns a 60% share of partnership profits, capital, and losses, and is a material participant in the partnership, how much of her share of the operating loss can Patricia deduct? What Code provisions could cause a suspension of the loss? During the year, the partnership has an operating loss of $1.2 million and distributes $60,000 of cash to Patricia.Partnership liabilities were the same at the end of the tax year, and the nonrecourse debt is not "qualified nonrecourse debt." If she owns a 60% share of partnership profits, capital, and losses, and is a material participant in the partnership, how much of her share of the operating loss can Patricia deduct? What Code provisions could cause a suspension of the loss?

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Patricia can only deduct $340,000 of her...

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