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Can someone please explain to me why the answer isn’t c?? I thought that the FMV of property transferred to a corporation was never taken into consideration when solving for the corporation’s basis in the asset. I was under the impression that the corporation’s basis in the asset was the greater of 1) the adjusted basis of the transferor or 2) the asset’s liability aquired. Becker drilled this point in pretty hard, but I’m also confused by the whole “80% control test” which I’m sure is the kicker here. Thanks so much!!
Porter, the sole shareholder of Preston Corp., transferred property to the corporation as a contribution to capital. Two years later, Corley transferred property to the corporation in exchange for a 10% interest in corporate stock. The property transferred was valued as follows:
Basis FMV
Porter’s transferr $50,000 $200,000
Corley’s transfer $250,000 $500,000
What amount represents the corporation’s basis in the property received?
a. $700,000
b. $550,000
c. $300,000
d. $450,000
Explanation
Choice “b” is correct. Porter’s transfer is not taxable because the 80% control test is met. The corporation’s basis in the property is the basis of $50,000. Corley’s transfer is taxable because the 80% control test is not met. The corporation’s basis in the property is $500,000. The corporation’s total basis in the properties is $550,000 ($50,000 + $500,000).
Choice “a” is incorrect. $700,000 would be correct if the basis of both properties used fair market value.
Choice “d” is incorrect. $450,000 would be correct if Porter’s property used fair market value and Corley’s property used carryover basis.
Choice “c” is incorrect. $300,000 would be correct if the basis of both properties used carryover basis.
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