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Folly Corporation, which was formed in 2009, had 40,000 of net Section 1231 gain for its 2013 calendar year. Its net Section 1231 gains and losses for its 3 preceding tax years were as follows:
Year // Section 1231 results
2010: loss of 15,000
2011: loss of 20,000
2012: gain of 5000
As a result, Folly Corporation’s 2012 net Section 1231 gain would be characterized by:
A. LTCG of 40,000
B. LTCG of 10,000, ordinary income of 30,000
C. LTCG of 5000, ordinary income of 35,000
D. LTCG of 30,000, ordinary income of 10,000
B. A net Sec. 1231 gain must be treated as ordinary income to the extent of the taxpayer’s nonrecaptured net Sec. 1231 losses for its 5 preceding tax years. Since the nonrecaptured net Sec. 1231 losses for 2010 and 2011 total ($15,000 + $20,000) – $5,000 = $30,000, only $10,000 of the $40,000 net Sec. 1231 gain for 2013 will be treated as long-term capital gain.
Why are you retroactively going back to past years to determine what is the gain or loss? 2012 already has a 5000 section 1231 gain, so why don’t you just report a LTCG of 5000?
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