Disgorgement Ordered for Violation of Federal Securities Law Not Deductible in View of IRS Memo
The IRS, reacting to the Supreme Court’s decision in Kokesh v. S.E.C., 137 S. Ct. (2017), has issued a memorandum (CCA 201748008) taking the position that amount paid as a disgorgement for violating a federal securities falls under IRC Section 162(f)’s prohibition of a deduction for a fine or similar penalty.
Specifically, IRC §162(f) provides:
(f) Fines and penalties
No deduction shall be allowed under subsection (a) for any fine or similar penalty paid to a government for the violation of any law.
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