Corporate Formation Flashcards
Taxpayer’s Gain or Loss on Contribution in Exchange for Stock: No Recognized Gain or Loss
Under IRC §351, a taxpayer will not recognize gain or loss upon a contribution of property in exchange for stock if taxpayer:
(1) Transfers ONLY PROPERTY;
(2) Receives ONLY STOCK; and
(3) CONTROLS the corporation after transfer (80% of total voting power)
Taxpayer’s Gain or Loss on Contribution in Exchange for Stock: Recognized Gain
If taxpayer receives stock and other property (boot) in a transaction that would otherwise qualify for § 351, then taxpayer must recognize gain up to the amount of boot received
Taxpayer’s Basis in Stock Acquired: If § 351 Applies
Basis of property transferred to the corporation - cash and FMV of boot + recognized gain = taxpayer’s basis of stock received
Taxpayer’s Basis in Stock Acquired: If § 351 Does Not Apply
Basis = FMV of boot
Corporation’s Basis in Contributed Property: If §351 Applies
Basis of property in shareholder’s hands + recognized gain to shareholder = corporation’s basis of contributed property
Corporation’s Basis in Contributed Property: If § 351 Does Not Apply
Basis = FMV of boot