Amounts Paid as Management Fees by C Corporation Not Deductible
In the case of Aspro v. Commissioner, Case No. 21-1996, CA8,[1] the Eighth Circuit Court of Appeals sustained the Tax Court’s disallowance of a deduction of management fees paid to shareholders of a C corporation and the treatment of the payment as disguised distributions taxable as dividends.
There are various reasons why some closely held entities make payments to related parties that are labeled management fees. In this case we aren't told what the ultimate goal was of such fees, but we do know that they had continued for an extremely long period of time.
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