Target Corporation (“T”) is a “C” corporation. T’s 1,000 shares of common stock (its only class) are owned by three unrelated individual shareholders as follows:
Shareholder |
No. Shs. |
Adj. Basis |
F.M.V. |
A |
500 |
$ 50,000 |
$ 500,000 |
B |
400 |
40,000 |
400,000 |
C |
100 |
140,000 |
100,000 |
Total |
1,000 |
$230,000 |
$1,000,000 |
A and B are in their late 70’s and have held their T stock since the company was founded many years ago. C recently inherited her stock.
T has $400,000 of accumulated earnings and profits and the following assets (all held long-term) and liabilities:
Assets |
Adj. Basis |
F.M.V. |
|
Cash |
$200,000 |
$ 200,000 |
|
Inventory |
50,000 |
100,000 |
|
Equipment ($100,000 § 1245 recapture) |
100,000 |
200,000 |
|
Building (no recapture) |
50,000 |
300,000 |
|
Securities |
400,000 |
300,000 |
|
Goodwill |
0 |
200,000 |
|
Total |
$800,000 |
$1,300,000 |
|
Liabilities |
|||
Bank loan |
300,000 |
||
Total |
$ 300,000 |
T and its shareholders are considering a sale of the business. Purchaser Corporation (“P”) is interested in acquiring T. If specific computations are required by your instructor, assume (for computational convenience) that C corporations are taxed on all their income at a flat corporate rate of 20 percent and individuals are taxed at a flat 40 percent rate on ordinary income and a 20 percent rate on long-term capital gains (and ignore the 3.8 percent tax on net investment income).
What are the tax consequences of the following alternative acquisition methods to T, T’s shareholders, and P?
(a)T adopts a plan of complete liquidation, sells all of its assets (except the cash but subject to the bank loan) to P for $800,000 cash, and distributes the after-tax proceeds to its shareholders in proportion to their stock holdings.
(b)T adopts a plan of complete liquidation, distributes all of its assets (subject to the liability) to its shareholders in proportion to their stock holdings, and the shareholders then sell the assets (less any cash but subject to the bank loan) to P for $800,000.
(f)P purchases all the stock of T for cash but does not make the§ 338 election. (Consider generally what P should pay for the T stock.)
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