Few reasonable compensation cases have existed in the past few years. However, a few are surfacing in audits by the IRS. Section 162(a)(1) of the Internal Revenue Code allows for a deduction for “a reasonable allowance for salaries or other compensation for personal services actually rendered.”
What is reasonable compensation is a factual issue. The mistake most businesses make is failing to document how compensation is determined. Executive compensation should be reviewed each year and documented in corporate minutes.
In the recent case of Menard, Inc. v. Commissioner, No. 08-2125 (Mar. 11, 2009), Judge Posner reversed the Tax Court’s holding that compensation was unreasonable. The Tax Court only allowed the corporation a deduction of $7 million of the $20.6 million paid to the majority stockholder and CEO and deducted by the corporation. The opinion points out that when comparing the compensation of Mr. Menard with other executives, all of the compensation paid to the other executives must be considered and not just salaries.
Saturday, March 14, 2009
Friday, March 13, 2009
Income Tax Data by Zip Code
The TaxProf Blog has advised of an interesting site. The site is Income Tax and Data List in Your Zip Code. This site could have some usefullness in dealing with certain issues in IRS audits and collections matters.
Tuesday, March 10, 2009
No More Private Debt Collectors
After conducting an extensive review of the private debt collection program, including the cost effectiveness of the effort, the Internal Revenue Service will not renew its contracts with two private debt collection agencies, the agency announced today. See IR-2009-19.
The IRS determined that the work is best done by IRS employees who have more flexibility handling cases, which is particularly important with many taxpayers currently facing economic hardship.
The IRS determined that the work is best done by IRS employees who have more flexibility handling cases, which is particularly important with many taxpayers currently facing economic hardship.
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