No Evidence Any Services Were or Could Have Been Performed for Management Services Paid to Related Corporation
The taxpayer corporation in this case had claimed deductions in 2011-2013 for management fees of $120,000, $36,000, and $42,000. In each year, Home Team had transferred funds to Sacer Cor as it had cash available to transfer, and the funds were initially recorded as loans to Sacer Cor. At the end of the year, some or all of the loans were reclassified as management fees.
The Court noted that the fees were based solely on Home Team’s ability to pay rather than being payments for specifically invoiced services. Also, Sacer Cor had no employees for the years in question, although two of the Sacer Cor shareholders were employees of Home Team and were paid a salary by that organization. The Court noted that Home Team did not produce any evidence of any services provided by Sacer Cor.
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