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Sara owns 60 percent of the stock of Lea Corporation. Unrelated individuals own theremaining 40 percent. For a stock redemption of Sara's stock to be treated as an exchange under the "substantially disproportionate" test, what percentage of Lea stock must Sara own after the redemption?


A) Any percentage less than 48 percent.
B) Any percentage less than 50 percent.
C) Any percentage less than 60 percent.
D) All stock redemptions involving individuals are treated as exchanges.

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Green Corporation has negative current earnings and profits of ($100,000) and positiveaccumulated earnings and profits of $250,000. A $50,000 distribution from Green to its sole shareholder will be treated as a dividend because total earnings and profits is apositive $150,000.

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Erie Corporation reported taxable income of $2,200,000 in 20X3 before any deduction for anypayment to its sole shareholder and employee, LaBron Cleveland. Erie paid a bonus of $200,000 toLaBron at year-end. Erie Corporation is subject to a flat-rate tax of 34%. The bonus meets therequirements to be "reasonable" and is therefore deductible by Erie. LaBron is subject to a marginal tax rate of 35% on the bonus. What is the total federal income tax imposed on the corporate income earned by Erie and paid to LaBron as a bonus?

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A distribution from a corporation to a shareholder will always be treated as a dividendfor tax purposes.

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Only taxable income and deductible expenses are included in the computation of currentearnings and profits.

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Which statement best describes the concept of the "double taxation" of corporation income?


A) Corporate income is subject to two levels of taxation: at the federal level and a second time at the state level.
B) Corporate income is taxed twice at the corporate level: first when earned and then a second time if appreciated property is distributed to a shareholder.
C) Corporate income is taxed when earned by a C corporation and then a second time at the shareholder level when distributed as a dividend.
D) Corporate income is subject to two levels of taxation: the regular tax and the alternative minimum tax.

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Tammy owns 60 percent of the stock of Huron Corporation. Unrelated individuals own the remaining 40 percent. For a stock redemption to be treated as an exchange under the "substantially disproportionate" rule, the redemption must reduce Tammy's stockownership in Huron Corporation below 48 percent.

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Viking Corporation is owned equally by Sven and his wife Olga, each of whom hold 100 shares in the company. Viking redeemed 75 shares of Sven's stock in the company on December 31, 20X3. Viking paid Sven $2,000 per share. His income tax basis in each share is $1,000. Viking has total E&P of $500,000. What are the tax consequences to Sven because of the stock redemption?


A) $75,000 capital gain and a tax basis in each of his remaining shares of $1,000.
B) $150,000 dividend and a tax basis in each of his remaining shares of $1,000.
C) $150,000 dividend and a tax basis in each of his remaining shares of $4,000.
D) $75,000 capital gain and a tax basis in each of his remaining shares of $2,000.

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A stock redemption is always treated as a sale or exchange for tax purposes.

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Which of the following statements best describes the role of current and accumulated earnings and profits in determining if a distribution is a dividend?


A) A distribution will never be a dividend if current earnings and profits for the year are negative, even if accumulated earnings and profits is positive.
B) A distribution will only be a dividend if total earnings and profits (current plus accumulated) is positive at the time of the distribution.
C) At a minimum, some portion of the distribution will be a dividend if current earnings and profits for the year are positive, even if accumulated earnings and profits are negative.
D) A distribution can never be a dividend if current earnings and profits are negative.

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Bruin Company reports current E&P of $200,000 in 20X3 and accumulated E&P at the beginning of the year of $100,000. Bruin distributed $400,000 to its sole shareholder on January 1, 20X3. How much of the distribution is treated as a dividend in 20X3?


A) $200,000.
B) $100,000.
C) $400,000.
D) $300,000.

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Beaver Company reports current E&P of $100,000 in 20X3 and accumulated E&P at the beginning of the year of $200,000. Beaver distributed $400,000 to its sole shareholder on January 1, 20X3. The shareholder's tax basis in her stock in Beaver is $200,000. How is the distribution treated by the shareholder in 20X3?


A) $100,000 dividend, $200,000 tax-free return of basis, and $100,000 capital gain.
B) $200,000 dividend and $200,000 tax-free return of basis.
C) $300,000 dividend and $100,000 tax-free return of basis.
D) $400,000 dividend.

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Comet Company is owned equally by Pat and his sister Pam, each of whom hold 100 shares in the company. Comet redeems 50 of Pam's shares on December 31, 20X3, for$1,000 per share in a transaction that Pam treats as an exchange for tax purposes. Comet has total E&P of $250,000 on December 31, 20X3. What are the tax consequences to Comet because of the stock redemption?


A) No reduction in E&P because of the exchange.
B) A reduction of $125,000 in E&P because of the exchange.
C) A reduction of $62,500 in E&P because of the exchange.
D) A reduction of $50,000 in E&P because of the exchange.

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Battle Corporation redeems 20 percent of its stock for $100,000 in a stock redemption that is treated as an exchange by the shareholders. Battle's E&P at the date of theredemption is $200,000. Battle must reduce its earnings and profits by $100,000 because of the redemption.

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Half Moon Corporation made a distribution of $300,000 to Arnold Swartz in partial liquidation of the company on December 31, 20X3. Arnold owns 100% of Half Moon Corporation (1,200 shares). The distribution was in exchange for 50% of Arnold's stock in the company (600 shares). At the time of the distribution, the shares had a fair market value of $500 per share. Arnold's income tax basis in the shares was $250 per share. Half Moon had total E&P of $2,000,000 at the time of the distribution. What is the amount and character (capital gain or dividend) of any income or gain recognized by Arnold as a result of the partial liquidation?

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$150,000 capital gain.
An individual rec...

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Which of the following payments could be treated as a constructive dividend by the IRS?


A) Interest paid to a shareholder/creditor.
B) End-of-year bonus payment to a shareholder/employee.
C) Rent paid to a shareholder/lessor.
D) All of these payments could be treated as a constructive dividend by the IRS

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Packard Corporation reported taxable income of $1,000,000 in 20X3 and paid federal income taxes of $340,000. Included in the taxable income computation was a dividends received deduction of $5,000, a net capital loss carryover from 20X2 of $10,000 utilized in 20X3, and gain of $50,000 recognized on the collection of cash from an installment sale that took place in 20X1. The corporation's current earnings and profits for 20X3 would be:


A) $675,000.
B) $1,015,000.
C) $625,000.
D) $965,000.

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Yellowstone Corporation made a distribution of $300,000 to Cheney, Inc. in partial liquidation of the company on December 31, 20X3. Cheney, Inc. owns 50 percent of Yellowstone Corporation (1,000 shares). The other 50 percent is owned by an unrelated corporation. The distribution was inexchange for 50% of Cheney's stock in the company (500 shares). At the time of the distribution, the shares had a fair market value of $800 per share. Cheney's income tax basis in the shares was $500 per share. Yellowstone had total E&P of $5,000,000 at the time of the distribution. What is the amount and character (capital gain or dividend) of any income or gain recognized by Cheney as aresult of the partial liquidation?

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$300,000 dividend
A corporation receives...

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A distribution from a corporation to a shareholder will only be treated as a dividend fortax purposes if the distribution is paid out of current or accumulated earnings and profits.

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Wonder Corporation declared a common stock dividend to all shareholders of record on September 30, 20X3. Shareholders will receive three shares of Wonder stock for each five shares of stock they already own. Diana owns 300 shares of Wonder stock with a tax basis of $90 per share (a total basis of $27,000) . The fair market value of the Wonderstock was $180.00 per share on September 30, 20X3. What are the tax consequences of the stock dividend to Diana?


A) $10,800 dividend and a tax basis in the new stock of $180.00 per share.
B) $0 dividend income and a tax basis in the new stock of $56.25 per share.
C) $0 dividend income and a tax basis in the new stock of $67.50 per share.
D) $0 dividend income and a tax basis in the new stock of $180.00 per share.

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