Explain what each authority is saying

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William Queen owns all the stock in Able and Baker Corporations.Able, a successful enterprise, has generated excess working capital of $3 millions. Baker is still in its developmental stages and has had substantial capital needs. To meet some of these needs, William had Able lend baker $2 millions during year 1 and year 2. These loans are secured by Baker notes, but not other Baker property. Able has charged Baker interest at a rate ordinarily charged by a commercial lender. Upon reviewing able's books in the audit of its year 1 tax return, as IRS agent indicates that Able is liable for the accumulated earning tax because of its built up excess working capital and its loans to Baker. Later this week, you will meet with the agent third time. Before this meeting, you must research whether loans to a related corporation to finance its working capital meet a reasonable need of the business. At a meeting to discuss this problem, William asks whether filing a consolidated tax return would eliminate this potential problem and, if so, how must the ownership structure change to accomplish this objective. Partial list of research source is IRS Sec.532 and 537

Reg. sec. 1.537-2(c) and-3(b) and 1.1502-43 latchis Theatres of keene, Inc.v. CIR, 45 AFTR 1836, 54-2 USTC 9544(1st Cir., 1954) bremerton Sun Publishing Co., 44 T.C. 566 (1965)

ADDITIONAL INFORMATION REQUIRED:

1. FACTS- THAT RESTATES SIX TIMES THEN WHAT IS IN THE PROBLEM

2. ISSUES-IS THERE A QUESTION OR SERIES OF QUESTIONS THAT CAN BE ANSWER IN YES OR NO?

3. CONCLUSION: IS THERE ANY YES OR NO CONCLUSION?

4. FIND ANALYSIS AND QUOTE VARIOUS TAX AUTHORITIES. EXPLAIN WHAT EACH AUTHORITY IS SAYING AND HOW IT RELATES TO ANY TAX CLASS.

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This is a business management assignment in which business strategy has been developed for the avoidance of tax on the accumulated earnings of the various entity under common ownership. There are two entities Able and Baker under the common ownership, and for the requirement of the working capital of one entity; finance has been provided by another entity. There are various provisions are analyzed applicable in this situation under IRS Sec. 532 and 537 and regulation Reg. sec. 1.537-2(c) and-3(b) and 1.1502-43.

Reference no: EM131426868

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