
The Federal Income Taxation of Corporations, Partnerships, Limited Liability Companies and Their Owners
by Kwall, Jeffrey L.Buy New
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Summary
Author Biography
Table of Contents
Preface | p. iii |
Introduction | |
Perspective | p. 1 |
The Business As An Entity Under State Law | p. 1 |
The Business As A Taxpaying Entity - The C Corporation | p. 2 |
Proposal for Uniform Taxation Of All Businesses - Preview of the Future? | p. 2 |
Operations | |
C Corporation Operations | p. 3 |
Corporate Income Tax | p. 3 |
Tax Rates | p. 3 |
Scope Of Corporate Deductions | p. 4 |
S Corporation Operations | p. 5 |
Allocation To Shareholders | p. 5 |
Rigid Allocation Rule | p. 5 |
Consequences of Operating Loss | p. 5 |
Distinguishing S Corporation From C Corporation | p. 5 |
Small Business Corporation | p. 5 |
The Election | p. 6 |
Transitional Problems | p. 6 |
Accumulated C Earnings | p. 6 |
Partnership Operations | p. 8 |
Allocation To Partners | p. 8 |
Allowance Of Allocated Deduction/Loss | p. 10 |
Distinguishing Partnership From Taxpaying Entity | p. 10 |
Non-Publicly Traded Partnerships | p. 10 |
Distributions | |
C Corporation Distributions | p. 12 |
One-Side Distribution | p. 12 |
Dividend To The Extent Of Earnings & Profits | p. 12 |
Camouflaged One-Side Distributions | p. 13 |
S Corporation Distributions | p. 19 |
One-Side Distribution | p. 19 |
No Accumulated Earnings & Profits | p. 19 |
Accumulated Earnings & Profits | p. 19 |
Partnership Distributions | p. 20 |
Distribution In Liquidation Of Partner's Interest | p. 20 |
Impact Of [section]751 Assets | p. 20 |
Liquidation Of Interest | p. 20 |
Partnership Level Adjustments | p. 20 |
Termination Of Partnership | p. 21 |
Contributions | |
C Corporation Contributions | p. 22 |
Transfer Of Property For Stock | p. 22 |
Basis As Gain/Loss Preservation Mechanism | p. 22 |
S Corporation Contributions | p. 25 |
Transfer Of Property For Stock | p. 25 |
Basis As Gain/Loss Preservation Mechanism | p. 25 |
Partnership Contributions | p. 28 |
Transfer Of Property For Partnership Interest | p. 28 |
Basis As Gain/Loss Preservation Mechanism | p. 28 |
Partnership Anti-Abuse Rule | p. 28 |
Corporate Dispositions and Acquisitions | |
Taxable Transfers | p. 33 |
Asset Transfer | p. 33 |
Tax Consequences To Buyer | p. 33 |
Residual Method Of Allocation | p. 33 |
Nontaxable Transfers | p. 34 |
Perspective | p. 34 |
Common Law Doctrines | p. 34 |
Statutory Merger | p. 34 |
Continuity Of Business Enterprise | p. 35 |
Scope Of A Merger | p. 35 |
Acquisition by Subsidiary for Parent Stock | p. 36 |
Acquisition by Parent Followed by "Drop Down" | p. 36 |
Reverse Triangular Merger | p. 36 |
Treatment As A "B" Reorganization | p. 36 |
Multi-Step Acquisitions | p. 37 |
Carryovers and Carrybacks | p. 42 |
Restrictions On Loss Carryovers | p. 42 |
Effective Statutory Response | p. 42 |
Corporate Divisions and Rearrangements | |
Corporate Divisions | p. 47 |
Distribution Of Stock - Tax-Free Spin-Off/Split-Off | p. 47 |
Shareholder Level Consequences | p. 47 |
The Defense | p. 47 |
(3) Both Corporations Engaged In Active Business | p. 47 |
Corporate Rearrangements | p. 49 |
Change In Capital Structure | p. 49 |
Recapitalization | p. 49 |
Change In Operating Entity | p. 49 |
F Reorganization | p. 49 |
Conversion To Limited Liability Company | p. 49 |
Table of Contents provided by Ingram. All Rights Reserved. |
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