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Taxation of Individuals Study Set 1
Quiz 20: Forming and Operating Partnerships
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Question 81
Essay
On June 12, 20X9, Kevin, Chris, and Candy Corp. came together to form Scrumptious Sweets General Partnership. Now, Scrumptious Sweets must decide which tax year-end to use. Kevin and Chris have calendar year-ends and each holds a 35% profits and capital interest. However, Candy Corp. has a September 30th year-end and holds the remaining 30% profits and capital interest. What tax year-end must Scrumptious Sweets adopt and what rule mandates this year-end?
Question 82
Essay
On January 1, 20X9, Mr. Blue and Mr. Grey each contributed $100,000 to form the B&G general partnership. Their partnership agreement states that they will each receive a 50% profits and loss interest. The partnership agreement also provides that Mr. Blue will receive an annual $36,000 guaranteed payment. B&G began business on January 1, 20X9. For its first taxable year, its accounting records contained the following information.
Gross receipts from sales
Cost of sales
Gross profit
Guaranteed payments to Mr. Blue
Interest paid on business debt
Dividend income
Tax exempt interest
Operating expenses
Depreciation expense
Sec. 1231 Gains
$
150
,
000
(
$
220
,
000
)
(
$
70
,
000
)
(
$
36
,
000
)
(
$
3
,
000
)
$
500
$
1
,
500
(
$
138
,
000
)
(
$
9
,
000
)
$
8
,
000
\begin{array}{c}\begin{array}{lll}\text{Gross receipts from sales}\\\text{Cost of sales}\\\text{Gross profit}\\\\\text{Guaranteed payments to Mr. Blue}\\\text{Interest paid on business debt}\\\text{Dividend income}\\\text{Tax exempt interest}\\\text{Operating expenses}\\\text{Depreciation expense}\\\text{Sec. 1231 Gains}\\\end{array}\begin{array}{lll}&&\end{array}\begin{array}{r}\$ 150,000 \\(\$ 220,000) \\(\$ 70,000) \\\\(\$ 36,000) \\(\$ 3,000) \\\$ 500 \\\$ 1,500 \\(\$ 138,000) \\(\$ 9,000) \\\$ 8,000\\\end{array}\end{array}
Gross receipts from sales
Cost of sales
Gross profit
Guaranteed payments to Mr. Blue
Interest paid on business debt
Dividend income
Tax exempt interest
Operating expenses
Depreciation expense
Sec. 1231 Gains
$150
,
000
(
$220
,
000
)
(
$70
,
000
)
(
$36
,
000
)
(
$3
,
000
)
$500
$1
,
500
(
$138
,
000
)
(
$9
,
000
)
$8
,
000
Question 83
Essay
On April 18, 20X8, Robert sold his 35 percent partnership interest in Fruit Wonder, LLC to Richard for $120,000. Prior to selling his interest, Robert had a basis in Fruit Wonder of $80,000. Robert's basis included $5,000 of recourse debt and $15,000 of nonrecourse debt that had been allocated to him. Immediately after the purchase, what is Richard's tax basis in Fruit Wonder?
Question 84
Essay
At the end of year 1, Tony had a tax basis of $40,000 in Tall Ladders, Limited Partnership. Tony has a 20 percent profits interest in Tall Ladders. For year 2, Tall Ladders will pay Tony a $10,000 guaranteed payment for extra services he provides to the partnership. Given the following Income Statement and Balance Sheet from Tall Ladders, what is Tony's adjusted tax basis at the end of year 2?
Question 85
Essay
Illuminating Light Partnership had the following revenues, expenses, gains, losses, and distributions:
Sales
$
60
,
000
Long-Term Capital Gain
$
8
,
000
Qualified Dividends
$
5
,
000
Cost of Goods Sold
$
40
,
000
Employee Wages
$
15
,
000
Guaranteed Payment to Managing Partner
$
25
,
000
Municipal Bond Interest
$
5
,
000
Section 179 Expense
$
10
,
000
MACRS Depreciation
$
8
,
000
Section 1231 Gains
$
3
,
000
Fines and Penalties
$
1
,
500
\begin{array}{lr}\text { Sales } & \$ 60,000 \\\text { Long-Term Capital Gain } & \$ 8,000 \\\text { Qualified Dividends } & \$ 5,000 \\\text { Cost of Goods Sold } & \$ 40,000 \\\text { Employee Wages } & \$ 15,000 \\\text { Guaranteed Payment to Managing Partner } & \$ 25,000 \\\text { Municipal Bond Interest } & \$ 5,000 \\\text { Section 179 Expense } & \$ 10,000 \\\text { MACRS Depreciation } & \$ 8,000 \\\text { Section 1231 Gains } & \$ 3,000 \\\text { Fines and Penalties } & \$ 1,500\end{array}
Sales
Long-Term Capital Gain
Qualified Dividends
Cost of Goods Sold
Employee Wages
Guaranteed Payment to Managing Partner
Municipal Bond Interest
Section 179 Expense
MACRS Depreciation
Section 1231 Gains
Fines and Penalties
$60
,
000
$8
,
000
$5
,
000
$40
,
000
$15
,
000
$25
,
000
$5
,
000
$10
,
000
$8
,
000
$3
,
000
$1
,
500
Given these items, what is Illuminating Light's ordinary business income (loss) for the year?
Question 86
Essay
This year, Reggie's distributive share from Almonte Partnership includes $8,000 of interest income, $4,000 of dividend income, and $60,000 ordinary business income. A. Assume that Reggie materially participates in the partnership. How much of his distributive share from Almonte Partnership is potentially subject to the Medicare contribution tax? A. If Reggie materially participates in the business, the ordinary income is not passive to him and should not be subject to the Medicare contribution tax. The $8,000 of interest income and the $4,000 of dividend income are potentially subject to the Medicare contribution tax. B. Assume that Reggie does not materially participate in the partnership. How much of his distributive share from Almonte Partnership is potentially subject to the Medicare contribution tax? B. If Reggie is not a material participant in the partnership the $8,000 of interest income, the $4,000 of dividend income, and the $60,000 of ordinary business income are potentially subject to the Medicare contribution tax.
Question 87
Essay
Alfred, a 33% profits and capital partner in Pizzeria Partnership, needs help in adjusting his tax basis to reflect the information contained in his most recent Schedule K-1 from the partnership. Unfortunately, the Schedule K-1 he recently received was for year 3 of the partnership, but Alfred only knows that his tax basis at the beginning of year 2 of the partnership was $23,000. Thankfully, Alfred still has his Schedule K-1 from the partnership for years 1 and 2. Using the following information from Alfred's year 1, year 2, and year 3 Schedule K-1, calculate his tax basis the end of year 2 and year 3.
Year 1:
Ordinary business income
Cash distribution
Alfred’s share of partnership debt
Guaranteed payment
Nondeductible expense
Tax-exempt income
Year 2:
Ordinary business loss
Cash contribution
Alfred’s share of partnership debt
Guaranteed payment
Nondeductible expense
Tax-exempt income
Year 3:
Ordinary business loss
Alfred’s share of partnership debt
Nondeductible expenses
Guaranteed payment
$
10
,
000
$
7
,
000
$
85
,
000
(
$
4
,
500
)
(
$
1
,
000
)
$
1
,
200
($5,000)
$
10
,
000
$
73
,
000
(
$
7
,
500
)
(
$
3
,
000
)
$
1
,
500
($13,000)
$58,000
(
$
3
,
000
)
(
$
7
,
500
)
\begin{array}{c}\begin{array}{lll}\text{Year 1:}\\\text{Ordinary business income}\\\text{Cash distribution}\\\text{Alfred's share of partnership debt}\\\text{Guaranteed payment}\\\text{Nondeductible expense}\\\text{Tax-exempt income}\\\\\text{Year 2:}\\\text{Ordinary business loss}\\\text{Cash contribution}\\\text{Alfred's share of partnership debt}\\\text{Guaranteed payment}\\\text{Nondeductible expense}\\\text{Tax-exempt income}\\\\\text{Year 3:}\\\text{Ordinary business loss}\\\text{Alfred's share of partnership debt}\\\text{Nondeductible expenses}\\\text{Guaranteed payment}\\\end{array}\begin{array}{lll}&&\end{array}\begin{array}{l}\\\mathbf{\$ 1 0 , 0 0 0} \\\mathbf{\$ 7 , 0 0 0} \\\mathbf{\$ 8 5 , 0 0 0} \\(\$ 4,500) \\\mathbf{( \$ 1 , 0 0 0 )} \\\$ 1,200 \\\\\\\text { (\$5,000) } \\ \mathbf{\$ 1 0 , 0 0 0} \\\mathbf{\$ 7 3 , 0 0 0} \\(\$ 7,500) \\(\$ 3,000) \\\$ 1,500 \\\\\\\text { (\$13,000) } \\\text { \$58,000 } \\\mathbf{( \$ 3 , 0 0 0 )} \\(\$ 7,500) \\\end{array}\end{array}
Year 1:
Ordinary business income
Cash distribution
Alfred’s share of partnership debt
Guaranteed payment
Nondeductible expense
Tax-exempt income
Year 2:
Ordinary business loss
Cash contribution
Alfred’s share of partnership debt
Guaranteed payment
Nondeductible expense
Tax-exempt income
Year 3:
Ordinary business loss
Alfred’s share of partnership debt
Nondeductible expenses
Guaranteed payment
$10
,
000
$7
,
000
$85
,
000
(
$4
,
500
)
(
$1
,
000
)
$1
,
200
($5,000)
$10
,
000
$73
,
000
(
$7
,
500
)
(
$3
,
000
)
$1
,
500
($13,000)
$58,000
(
$3
,
000
)
(
$7
,
500
)
Question 88
Essay
KBL, Inc., AGW, Inc., Blaster, Inc., Shiny Shoes, Inc., and a group of 24 individuals form Shoes Galore General Partnership on October 11, 20X9. Now, Shoes Galore must adopt its required tax year-end. The partners' year-ends, profits interests, and capital interests are reflected in the table below. Given this information, what tax year-end must Shoes Galore use and what rule requires this year-end?
Shoes Galore Partnership
\begin{array} { | c | } \hline \quad\quad\quad\quad\quad\quad\quad\quad\quad{ \text { Shoes Galore Partnership } }\quad\quad\quad\quad\quad\quad\quad\quad \\\end{array}
Shoes Galore Partnership
Year-End
Profits
Capital
KBL, Inc.
1
/
31
25
%
25
%
AGIV, Inc.
1
/
31
20
%
20
%
Blaster, Inc.
3
/
31
4
%
4
%
Shiny Shoes, Inc.
6
/
30
3
%
3
%
24
Individuals
12
/
31
2
%
each
(
48
%
total
)
2
%
each
(
48
%
total
)
\begin{array} { | c | c | c | c | } \hline & \text { Year-End } & \text { Profits } & \text { Capital } \\\hline \text { KBL, Inc. } & 1 / 31 & 25 \% & 25 \% \\\hline \text { AGIV, Inc. } & 1 / 31 & 20 \% & 20 \% \\\hline \text { Blaster, Inc. } & 3 / 31 & 4 \% & 4 \% \\\hline \text { Shiny Shoes, Inc. } & 6 / 30 & 3 \% & 3 \% \\\hline 24 \text { Individuals }& 12 / 31 & \begin{array} { c } 2 \% \text { each } \\( 48 \% \text { total } )\end{array} & \begin{array} { c } 2 \% \text { each } \\( 48 \% \text { total } )\end{array} \\\hline\end{array}
KBL, Inc.
AGIV, Inc.
Blaster, Inc.
Shiny Shoes, Inc.
24
Individuals
Year-End
1/31
1/31
3/31
6/30
12/31
Profits
25%
20%
4%
3%
2%
each
(
48%
total
)
Capital
25%
20%
4%
3%
2%
each
(
48%
total
)
Question 89
Essay
On March 15, 20X9, Troy, Peter, and Sarah formed Picture Perfect General Partnership. This partnership was created to sell a variety of cameras, picture frames, and other photography accessories. The following items were contributed by each partner in exchange for a 1/3 capital and profits interest: • Troy - cash of $3,000, inventory with a FMV and tax basis $5,000, and a building with a FMV of $8,000 and adjusted basis of $10,000. Additionally, the building is secured by a $10,000 mortgage. • Peter - cash of $5,000, accounts payable with a FMV and tax basis of $19,000, and land with a FMV and tax basis of $20,000. • Sarah - cash of $2,000, accounts receivable with a FMV and tax basis of $1,000, and equipment with a FMV of $26,000 and adjusted basis of 4,000. Also, the equipment is secured by a $23,000 note payable. What is the partnership's inside basis in each asset? How much gain or loss must Picture Perfect recognize? Prepare Picture Perfect's balance sheet reflecting the partners' capital accounts on both a tax basis and 704(b)/FMV basis.
Question 90
Essay
Jordan, Inc., Bird, Inc., Ewing, Inc., and Barkley, Inc. formed Nothing-But-Net Partnership on June 1st, 20X9. Now, Nothing-But-Net must adopt its required tax year-end. The partners' year-ends, profits interests, and capital interests are reflected in the table below. Given this information, what tax year-end must Nothing-But-Net use and what rule requires this year-end?
Nothing-But-Net Partnership
\begin{array} { | c | } \hline \quad\quad\quad\quad\quad{ \text { Nothing-But-Net Partnership } } \quad\quad\quad\\\end{array}
Nothing-But-Net Partnership
Year-End
Profits
Capital
Jordan, Inc.
4
/
30
45
%
25
%
Bird, Inc.
9
/
30
25
%
25
%
Ewing, Inc.
10
/
31
0
%
25
%
Barkley, Inc.
12
/
31
30
%
25
%
\begin{array} { | c | c | c | c | } \hline & \text { Year-End } & \text { Profits } & \text { Capital } \\\hline \text { Jordan, Inc. } & 4 / 30 & 45 \% & 25 \% \\\hline \text { Bird, Inc. } & 9 / 30 & 25 \% & 25 \% \\\hline \text { Ewing, Inc. } & 10 / 31 & 0 \% & 25 \% \\\hline \text { Barkley, Inc. } & 12 / 31 & 30 \% & 25 \% \\\hline\end{array}
Jordan, Inc.
Bird, Inc.
Ewing, Inc.
Barkley, Inc.
Year-End
4/30
9/30
10/31
12/31
Profits
45%
25%
0%
30%
Capital
25%
25%
25%
25%
Question 91
Essay
J&J, LLC was in its third year of operations when J&J decided to expand the number of members from two, A & B, with equal profits and capital interests to three members, A, B, andC. The third member, C, will contribute her financial expertise to the LLC in exchange for a 1/3 capital interest in J&J. Given the balance sheet below reflecting the financial position of J&J on the date member C is admitted, what are the tax consequences to members A, B, and C, and to J&J when C receives her capital interest? If, instead, member C receives a 1/3 profit interest, what would be the tax consequences to members A, B, and C, and to J&J?
J&.J Limited Liability Company
Balance Sheet
\begin{array}{|cccccccccccccccccccc|}\hline&&&&&\text{J\&.J Limited Liability Company}\\\hline&&&&&\text{Balance Sheet}&&&&&&&&&&&&\end{array}
J&.J Limited Liability Company
Balance Sheet
Basis
FMV
Basis
FMV
Cash
20
,
000
20
,
000
Accounts Payable
7
,
000
7
,
000
Inventory
5
,
000
5
,
000
Mortgage Payable
20
,
000
20
,
000
Equipment
10
,
000
17
,
000
Building
30
,
000
45
,
000
A - Capital
22
,
000
30
,
000
B - Capital
16
,
000
30
,
000
Total Assets
65
,
000
87
,
000
Total Liab. & OE
65
,
000
87
,
000
\begin{array}{|l|r|r|l|r|r|}\hline & {\text { Basis }} & {\text { FMV }} & & {\text { Basis }} & {\text { FMV }} \\\hline \text { Cash } & 20,000 & 20,000 & \text { Accounts Payable } & 7,000 & 7,000 \\\hline \text { Inventory } & 5,000 & 5,000 & \text { Mortgage Payable } & 20,000 & 20,000 \\\hline \text { Equipment } & 10,000 & 17,000 & & & \\\hline \text { Building } & 30,000 & 45,000 & \text { A - Capital } & 22,000 & 30,000 \\\hline &&&\text { B - Capital } & 16,000 & 30,000 \\\hline &&&&&\\\hline \text { Total Assets } & 65,000 & 87,000 & \text { Total Liab. \& OE } & 65,000 & 87,000 \\\hline\end{array}
Cash
Inventory
Equipment
Building
Total Assets
Basis
20
,
000
5
,
000
10
,
000
30
,
000
65
,
000
FMV
20
,
000
5
,
000
17
,
000
45
,
000
87
,
000
Accounts Payable
Mortgage Payable
A - Capital
B - Capital
Total Liab. & OE
Basis
7
,
000
20
,
000
22
,
000
16
,
000
65
,
000
FMV
7
,
000
20
,
000
30
,
000
30
,
000
87
,
000
Question 92
Essay
Explain why partners must increase their tax basis for their share of partnership taxable and nontaxable income or gain and reduce their basis by their share of partnership deductible and nondeductible expenses or losses?