Settlement Related to Taxpayer's Corporations, Resulting in a Portion Being Deemed an Employee Business Expense
The Tax Court determined a taxpayer would be allowed a deduction for a portion of a settlement he paid to a customer that had filed a legal claim for problems with work performed by two corporations he controlled only as an employee business expense in Ferguson v. Commissioner, TC Memo 2019-40, rather than as an above the line business loss. However, the portion of the loss allocable to the other corporation, which was an S corporation, would be treated as a contribution of capital giving rise to a deduction that would flow through to the taxpayer.
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