Tax Court Rules Roth IRA Did Not Actually Own the Stock of FSC
The Tax Court took a different approach in their attempt to dismantle a Roth IRA based tax shelter in the case of Mazzei v. Commissioner, 150 TC No. 7 than the approach the Sixth Circuit turned thumbs down on in the case of Summa Holdings Inc. v. Commissioner, 848 F.3d 779 (6th Cir. 2017).
In this case the taxpayers’ Roth IRAs had formed a Foreign Sales Corporation (FSC), a mechanism that Congress created for a period of time to attempt to give a tax break to taxpayers selling products overseas. Under the provisions of the law applicable to FSCs, it could receive commissions from a manufacturer exporting goods even if it performed no services. These commissions were subject to a significantly lower rate of tax than applied on regular corporations.
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