The 100% shareholder of a S-corp, one-man service business, died and the S-corp terminates with $100,000 non-recourse loans NOT guaranteed by the shareholder. The S-corp had only one asset that being $8,000 cash which was withdrawn just before death as a cash distribution to pay medical expenses.
The question here is what happens to the $100,000 S-corp debt? Is it "forgiveness of debt" income to the S-corp on the final 1120S tax return flowing thru as taxable income to the shareholder's estate (1041 tax return)?
The question here is what happens to the $100,000 S-corp debt? Is it "forgiveness of debt" income to the S-corp on the final 1120S tax return flowing thru as taxable income to the shareholder's estate (1041 tax return)?
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