Nontaxable Exchanges

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Question 1
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Tax neutrality for asset exchanges is the exception rather than the rule.

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Question 2
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When unrelated parties agree to an exchange of noncash properties, the economic presumption is that the properties are of equal value.

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Question 3
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When unrelated parties agree to an exchange of noncash properties, the economic presumption is that the properties have the same adjusted book basis.

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Question 4
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Gain realized on a property exchange that is not recognized is actually deferred rather than nontaxable.

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Question 5
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Qualifying property received in a nontaxable exchange has a cost basis for tax purposes.

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Question 6
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The substituted basis rule results in permanent nonrecognition of gains and losses realized in a nontaxable exchange.

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Question 7
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A taxpayer who receives or pays boot in a nontaxable exchange must recognize gain to the extent of the FMV of the boot.

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Question 8
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A taxpayer who receives boot in a nontaxable exchange must recognize gain equal to the lesser of the FMV of the boot or the gain realized.

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Question 9
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A taxpayer who pays boot in a nontaxable exchange includes the value of the boot in the basis of the qualifying property received.

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Question 10
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Nontaxable exchanges typically cause a temporary difference between book income and taxable income.

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Question 11
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Signo Inc.'s current year income statement includes a $21,000 gain realized on the exchange of an old business asset for a new business asset. If the exchange is nontaxable, Signo has a $21,000 favorable permanent book/tax difference.

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Question 12
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Tarletto Inc.'s current year income statement includes a $229,000 gain realized on the exchange of an old business asset for a new business asset. If the exchange is nontaxable, Tarletto's book basis in the new asset is $229,000 greater than its tax basis.

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Question 13
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Mr Lexon owns investment property with a $719,000 basis. If the property is worth only $500,000, Mr Lexon would prefer a taxable disposition of the property over a like-kind exchange.

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Question 14
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Muro Inc. exchanged an old inventory item for a new asset. If the new asset is also an inventory item, the exchange is nontaxable.

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Question 15
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Mrs Cooley exchanged 400 shares of stock for corporate bonds. If the stock and bonds were issued by the same corporation, they are like-kind properties, and the exchange is nontaxable.

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Question 16
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Tibco Inc. exchanged an equity interest in ABM Partnership for an equity interest in Jolla Partnership. This exchange is taxable.

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Question 17
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A taxpayer who realizes a loss on the exchange of like-kind property can elect to recognize the loss.

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Question 18
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Yelano Inc. exchanged an old forklift used in its business for a new forklift. This exchange qualifies as a nontaxable like-kind exchange.

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Question 19
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Reiter Inc. exchanged an old forklift for new office furniture. This exchange qualifies as a nontaxable like-kind exchange.

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Question 20
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All types of business and investment real properties are like-kind.

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