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2008

Taxation-Federal

University of Baltimore Law

Gain

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Determining The Character Of Section 357(C) Gain, Fred B. Brown Oct 2008

Determining The Character Of Section 357(C) Gain, Fred B. Brown

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Under section 351, a person transferring property to a controlled corporation generally recognizes no gain or loss on the transaction. An exception to tax-free treatment is contained in section 357(c), which generally provides that a transferor in a section 351 transaction recognizes gain to the extent that any liabilities assumed by the corporation on the transfer exceed the transferor's aggregate adjusted basis in the assets transferred. An issue under section 357(c) is whether the recognized gain should be capital gain or ordinary income. The statute suggests that the character of section 357(c) gain should be based on the character of …