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South Western Federal Taxation
Quiz 13: A: Property Transactions: Determination of Gain or Loss, Basis Considerations, and Nontaxable Exchanges-Part 1
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Question 61
True/False
If a taxpayer exchanges like-kind property under § 1031 and assumes a liability associated with the property received, the taxpayer is considered to have given boot in the transaction.
Question 62
True/False
A condemned office building owned and used in the business by a taxpayer can be replaced by land and qualify for nonrecognition treatment.
Question 63
True/False
The amount realized does not include any amount received by the taxpayer that is designated as severance damages by both the government and the taxpayer.
Question 64
True/False
Section 1033 (nonrecognition of gain from an involuntary conversion) applies to both gains and losses.
Question 65
True/False
The surrender of depreciated boot (fair market value is less than adjusted basis) in a like-kind exchange can result in the recognition of loss.
Question 66
True/False
The basis of boot received in a like-kind exchange is its fair market value, unless the realized gain is a smaller amount.
Question 67
True/False
If boot in the form of cash is given in a § 1031 like-kind exchange, the realized gain may be recognized.
Question 68
True/False
An exchange of business or investment property for like-kind property with a § 267 related party cannot qualify as a § 1031 like-kind exchange.