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Using current literature, complete the case titled “Small Business Cupcakes Case” attached above. You will need to download the case and answer the questions given. Some hints for this case are as follows:
Does §351 apply to the proposed incorporation?
What will be the effects in the tax basis of the transferred assets if §351 does apply?
Remember that a corporation is subject to double taxation under §336 when it later is liquidated. Once assets are transferred to a C corporation, dividend income and other recognized gains can be created by §311 when the assets are returned to the shareholders.
Be sure to take into account the non-tax implications of your recommendations, for the corporation and all of its shareholders.

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