Berdine has a basis of $32,000 in her partnership interest and receives land with an adjusted basis
Question:
Berdine has a basis of $32,000 in her partnership interest and receives land with an adjusted basis to the partnership of $78,000 in termination of her interest. [Assume the partnership holds no hot assets and the entire payment is a § 736(b) payment with the tax treatment determined under the proportionate liquidating distribution rules.]
What is Berdine's basis in the distributed land?
If an optional § 754 adjustment-to-basis election is in effect, by what amount does the partnership adjust the basis of its remaining property? If that adjustment is allocated to depreciable property, to whom does the partnership allocate the resulting depreciation deductions?
South Western Federal Taxation 2016 Corporations Partnerships Estates And Trusts
ISBN: 9781305399884
39th Edition
Authors: James Boyd, William Hoffman, Raabe, David Maloney, Young