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no title 353610 best essay 24459204

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no title 353610 best essay 24459204

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  1. No Title _353610 Best Essay

  2. No Title _353610 Best Essay <p><strong>Question 1</strong></p><p>When a taxpayer contacts a tax advisor requesting advice as to the most advantageous way to dispose of a stock, the tax advisor is faced with</p><p>Answer</p><p>a restricted-fact situation.</p><p>a closed-fact situation.</p><p>an open-fact situation.</p><p>a recognized-fact situation.</p><p><strong>Question 2</strong></p><p>During the course of an audit, a CPA discovers an error in a prior return. According to the Statements on Standards for Tax Services, the CPA should</p><p>Answer</p><p>ask the client for permission to disclose the error to the IRS.</p><p>withdraw from the engagement.</p><p>inform the IRS of the error, regardless of whether the client grants permission.</p><p>correct the error in the current year&#39;s tax return.</p><p><strong>Question 3</strong></p><p>A Technical Advice Memorandum is usually</p><p>Answer</p><p>an internal IRS

  3. ...continued... document describing alternative legislative proposals.</p><p>part of a Tax Court decision.</p><p>requested by the taxpayer before entering into a taxable transaction.</p><p>issued by the national office in response to an audit request.</p><p><strong>Question 4</strong></p><p>Regulations are</p><p>Answer</p><p>equal in authority to legislation.</p><p>equal in authority to legislation if statutory.</p><p>presumed to be valid and to have almost the same weight as the IRC.</p><p>equal in authority to legislation if interpretative.</p><p><strong>Question 5</strong></p><p>In accordance with the rules that apply to corporate formation, which one of the following features does not make an issue of preferred stock "nonqualified"&#63;</p><p>Answer</p><p>The shareholder can require the corporation to redeem the stock.</p><p>The dividend rate on the stock may not vary with interest rates, commodity

  4. ...continued... prices, or other similar indices.</p><p>The corporation is either required to redeem the stock or is likely to exercise a right to redeem the stock.</p><p>The stock is limited and preferred as to dividends.</p><p><strong>Question 6</strong></p><p>The transferor&#39;s holding period for any boot property received in a Sec. 351 stock exchange</p><p>Answer</p><p>includes the holding period for the boot transferred.</p><p>begins on the day after the exchange.</p><p>begins on the day of the exchange.</p><p>is the same as the holding period of the stock received in the exchange.</p><p><strong>Question 7</strong></p><p>Rose and Wayne form a new corporation. Rose contributes cash for 85&#37; of the stock and Wayne contributes services for 15&#37; of the stock. The tax effect is</p><p>Answer</p><p>Rose and Wayne must recognize their realized gains, if any.</p><p>Wayne must report the FMV of the

  5. ...continued... deferred tax asset&#63;</p><p>Answer</p><p>Revenue or gains are recognized earlier for book purposes than for tax purposes.</p><p>Operating loss or tax credit carryforwards exist.</p><p>Tax basis of an asset is less than its book.</p><p>Expenses are deductible earlier for tax purposes than for book purposes.</p><p><strong>Question 11</strong></p><p>Dallas Corporation, not a dealer in securities, realizes taxable income of &#36;60,000 from the operation of its business. Additionally, in the same year, Dallas realizes a long-term capital loss of &#36;10,000 from the sale of marketable securities. If the corporation realizes no other capital gains or losses, what is the proper treatment for the &#36;10,000 long-term capital loss on the tax return&#63;</p><p>Answer</p><p>Use &#36;3,000 of the loss to reduce taxable income and carry &#36;7,000 of the long-term capital loss forward for five

  6. ...continued... years.</p><p>Use &#36;6,000 of the loss to reduce taxable income and carry &#36;4,000 of the long-term capital loss forward for five years.</p><p>Use &#36;10,000 of the long-term capital loss to reduce taxable income.</p><p>Carry the &#36;10,000 long-term capital loss back three years as a short-term capital loss, then forward five years.</p><p><strong>Question 12</strong></p><p>Which of the following is not a condition that permits a stock redemption to be treated as a sale&#63;</p><p>Answer</p><p>It provides funds for payment of income taxes.</p><p>It is not essentially equivalent to a dividend.</p><p>The redemption is substantially disproportionate.</p><p>The redemption completely terminates the shareholder&#39;s interest.</p><p><strong>Question 13</strong></p><p>An individual shareholder owns 3,000 shares of Baxter Corporation common stock with a basis of &#36;10 per share. She

  7. ...continued... receives a nontaxable 5&#37; stock dividend. The basis per share of the common stock after the stock dividend is</p><p>Answer</p><p>&#36;9.00.</p><p>&#36;9.50.</p><p>&#36;9.52.</p><p>&#36;10.00.</p><p><strong>Question 14</strong></p><p>The gross estate of a decedent contains &#36;2,000,000 cash and 100&#37; of Davis Corporation stock worth &#36;600,000. Funeral and administrative expenses and state death taxes allowable as estate tax deductions amount to &#36;400,000. The estate owes no other liabilities. The decedent&#39;s Davis stock can be</p><p>Answer</p><p>redeemed to the extent of the death taxes and the estate&#39;s funeral and administrative costs with sale or exchange treatment.</p><p>redeemed with dividend treatment.</p><p>redeemed in full with sale or exchange treatment only if the proceeds are used to pay the death taxes and funeral and administrative costs.</p><p>redeemed to

  8. ...continued... production activities affect AMTI&#63;</p><p>Answer</p><p>The computation of qualified production activities is the same for taxable income and AMTI.</p><p>The computation of qualified production activities is based on qualified production activities income for AMTI.</p><p>The computation of qualified production activities is based on AMTI before the deduction for qualified production activities.</p><p>The computation of qualified production activities is based on the lesser of qualified production activities income or AMTI before the deduction for qualified production activities.</p><p><strong>4 points </strong></p><p><strong>Question 17</strong></p><p>Which of the following items are tax preference items for purposes of arriving at alternative minimum taxable income&#63;</p><p>Answer</p><p>excess intangible drilling costs on oil and gas properties</p><p>interest income earned on

  9. ...continued... federal obligations</p><p>all depreciation claimed on pre-1987 real property acquisitions</p><p>excess of net long-term capital gains over short-term capital losses</p><p><strong>Question 18</strong></p><p>The accumulated earnings tax does not apply to corporations that</p><p>Answer</p><p>have more than one class of stock</p><p>have more than one class of stock</p><p>are personal holding companies</p><p>are closely held corporations</p><p><strong>Question 19</strong></p><p>When using the Bardahl formula, an increase in accounts payable (while holding purchases and operating expenses constant) has which of the following effects on the working capital requirements&#63;</p><p>Answer</p><p>Increase</p><p>Decrease</p><p>No effect</p><p>increase, decrease, or no effect, depending on other factors</p><p><strong>Question 20</strong></p><p>Lake City Corporation owns all of the stock in Columbia

  10. ...continued... Corporation. Pursuant to a plan of complete liquidation, Columbia distributes land having a &#36;500,000 FMV and a &#36;200,000 basis to Lake City. Lake City&#39;s basis in the land will be</p><p>Answer</p><p>0.</p><p>&#36;200,000</p><p>&#36;500,000</p><p>&#36;700,000</p><p><strong>Question 21</strong></p><p>The general rule for tax attributes of liquidating corporations is</p><p>Answer</p><p>they disappear when the liquidation is complete.</p><p>they carry over for five years.</p><p>they disappear only for controlled subsidiary corporations.</p><p>they carry over for an indefinite period of time.</p><p><strong>Question 22</strong></p><p>The stock of Cooper Corporation is 70&#37; owned by Carole and 30&#37; owned by Carole&#39;s brother, Chris. During 2013, Chris transferred property (basis of &#36;100,000 and FMV of &#36;120,000) as a contribution to the capital of Cooper. During

  11. ...continued... reorganization.</p><p>Type B reorganization.</p><p>Type C reorganization.</p><p>The transaction does not qualify as a tax-free reorganization.</p><p><strong>Question 24</strong></p><p>Jersey Corporation purchased 50&#37; of Target Corporation&#39;s single class of stock on June 1 of this year. They purchased an additional 40&#37; on November 20 of this year. The Sec. 338 election must be made on or before</p><p>Answer</p><p>June 30 of this year.</p><p>November 30 of this year.</p><p>August 15 of next year.</p><p>June 30 of next year.</p><p><strong>Question 25</strong></p><p>Acquiring Corporation acquires all of the stock of Target Corporation in a Type B (stock-for-stock) reorganization. Both corporations have always filed separate tax returns. Which one of the following statements regarding the acquisition is correct&#63;</p><p>Answer</p><p>Acquiring and Target Corporations can elect to

  12. ...continued... file a consolidated tax return.</p><p>Acquiring and Target Corporations must file a consolidated tax return.</p><p>Acquiring Corporation assumes all of the tax attributes of Target Corporation.</p><p>Acquiring Corporation must step up or step down the basis of the Target Corporation&#39;s assets to their FMV on the acquisition date&#63;</p><p>&nbsp;</p><p>&nbsp;</p>

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