Surgeon Found to Be Investor in Surgical Center LLC He Performed Surgeries In, Income Not Subject to Self-Employment Tax
A case that presented the reverse situation that the Tax Court decided in the 2011 case of Renkemeyer, Campbell & Weaver, LLP v. Commissioner on the issue of the self-employment tax liabilities of members of LLC was decided in the case of Hardy v. Commissioner, TC Memo 2017-16.
The case involved a surgeon that had purchased a 12.5% interest in an LLC that operated a surgery center. The surgeon did not actively participate in the management or operation of the center, but only performed a minority of his surgeries in the center, on similar terms as he worked in centers and hospitals in which he had no ownership interest.
(And, yes, this is the same case as covered in the other entry I wrote this day, but dealing with an additional issue.)
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