Redemption to Pay Death Taxes. John died on March 3, 2019. His gross estate of $16.5 million
Question:
Redemption to Pay Death Taxes. John died on March 3, 2019. His gross estate of $16.5 million includes First Corporation stock (400 of the 1,000 outstanding shares) worth $10 million or $25,000 per share (510,000,000/400). This FMV amount also is the estate's basis in the stock (see Chapter C:13). John's wife, Myra, owns the remaining 600 shares. Deductible funeral and administrative expenses total $500,000. John, Jr. is the sole beneficiary of John's estate. Estate taxes amount to SI million.
a. Does a redemption of First Corporation stock from John's estate, John, Jr., or John's wife qualify for sale treatment under Sec. 303?
b. On September 10, 2019, First Corporation redeems 200 shares of its stock from John's estate for $6 million or $30,000 per share (56.000,000/200). How does the estate treat this redemption for tax purposes?
Step by Step Answer:
Federal Taxation 2020 Comprehensive
ISBN: 9780135196274
33rd Edition
Authors: Timothy J. Rupert, Kenneth E. Anderson, David S. Hulse