Welcome to Chamberlain Hrdlicka's Tax Blog where we provide news and analysis of current legal issues facing tax practitioners.
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The Internal Revenue Code permits businesses to deduct their ordinary and necessary businesses expenses, including “a reasonable allowance for salaries or other compensation for personal services actually rendered.” I.R.C. § 162(a)(1). The compensation must be “reasonable” and “purely for services.” Treas. Reg. § 1.162-7(a). For C-corporation shareholders, especially those in closely held businesses, the double-layer of taxation, effective income tax rates, preferential dividend rates, and other considerations create tension between whether to treat ...
As discussed in-depth in a previous post, there is an ongoing fight between the Tax Court and the IRS over whether the penalties imposed under IRC § 6038 for failing to comply with international reporting requirements relating to foreign assets actually have any real teeth. Essentially, the dispute centers on whether these penalties are “immediately assessable” – i.e. whether the IRS can assess the penalty without first having to obtain a court judgment. That assessment, in turn, records a taxpayer’s liability and triggers the broad collection powers of the IRS, raising ...


