Academic Integrity: tutoring, explanations, and feedback — we don’t complete graded work or submit on a student’s behalf.

Which of the following does not constitute PHC income? Dividend income None of t

ID: 2595864 • Letter: W

Question

Which of the following does not constitute PHC income?

Dividend income

None of these

Interest income included in gross income

Tax-exempt interest

How many of the following statements are true:

1. X Co. doesn’t satisfy the income test for PHC’s.
2. The tax rate imposed on “undistributed PHCI” is the maximum tax rate imposed on qualified dividends.
3. A company may be subject to both the accumulated earnings tax and PHC tax in the same taxable year.
4. Deficiency dividends apply to reduce both the accumulated earnings tax and PHC tax.

1

2

3

4

None of these.

Which of the following will prevent a corporation from qualifying under Subchapter S?

a corporate shareholder

100 individual shareholders-90 singles, 5 married couples

common stock with different voting rights

More than one of these

None of these

Which statement is true with regard to the complete liquidation of a calendar year subsidiary under Code Section 332 which is 90% owned by its parent?

Gain or loss is not recognized by the parent corporation and the parent has a fair market value basis in the assets received.

No formal plan of liquidation need be adopted if the shareholder’s adopt a resolution authorizing the distribution on 1/14/X6 and the liquidating distributions occur on 6/10/X7 and 11/10/X8.

The minority shareholders recognize gain or loss.

The subsidiary doesn’t recognize gain or loss on its distributions to the minority shareholders.

More than one of these statements is true.

Which statement is false?

Section 306 will not apply on a complete termination of the shareholder’s stock interest by redemption.

More than one of these are false.

There are no tax consequences upon issue of Section 306 stock, but upon a sale to a third party the shareholder may recognize income based on earnings and profits on the date of the sale.

None of these.

Common stock can be Section 306 stock.

1.

Dividend income

2.

None of these

3.

Interest income included in gross income

4.

Tax-exempt interest

Explanation / Answer

Answer 1.:

None of these

Answer 3: None of these.

The requirement is to determine the condition that will prevent a corporation from qualifying as an S corporation. Certain eligibility requirements must be satisfied before a corporation can make a subchapter S election. Generally, in order to be an S corporation, a corporation must have only one class of stock outstanding and have no more than one hundred shareholders, who are either individuals, estates, or certain trusts. An S corporation may own any percentage of the stock of a C corporation, and 100% of the stock of a qualified subchapter S subsidiary.

None of these

Answer 3: None of these.

The requirement is to determine the condition that will prevent a corporation from qualifying as an S corporation. Certain eligibility requirements must be satisfied before a corporation can make a subchapter S election. Generally, in order to be an S corporation, a corporation must have only one class of stock outstanding and have no more than one hundred shareholders, who are either individuals, estates, or certain trusts. An S corporation may own any percentage of the stock of a C corporation, and 100% of the stock of a qualified subchapter S subsidiary.

Hire Me For All Your Tutoring Needs
Integrity-first tutoring: clear explanations, guidance, and feedback.
Drop an Email at
drjack9650@gmail.com
Chat Now And Get Quote