Best Practices for Reasonableness of Compensation Analysis in Taxation Disputes

R. Reilly
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Abstract

The U.S. Tax Court case Clary Hood, Inc v. Commissioner involves a closely held C corporation’s dispute regarding the reasonableness of executive/shareholder compensation tax deductions. There was no dispute in this litigation that CHI was an extremely successful specialty construction company during the tax years at issue. And, there was no dispute in this litigation that Clary Hood, the company CEO and (with his wife) shareholder, was largely responsible for the construction company’s success during the tax years at issue. The disputed issue in the litigation was whether the bonuses paid to Hood in 2015 and 2016 exceed a reasonable amount of executive compensation for the services Hood actually performed for the company. In its memorandum decision, the Tax Court provided a fulsome discussion of the methodology and analysis it applied in addressing this reasonableness of executive/shareholder compensation issue. This judicial discussion provides meaningful practical guidance.
税务纠纷中补偿分析合理性的最佳实践
美国税务法院Clary Hood, Inc .诉Commissioner案涉及一家少数人持股的C公司关于高管/股东补偿金税收减免合理性的争议。在这起诉讼中,CHI是一家在纳税年度内非常成功的专业建筑公司,这一点没有争议。而且,在这起诉讼中,毫无争议的是,该公司的首席执行官兼股东(和他的妻子)Clary Hood对该建筑公司在相关纳税年度的成功负有主要责任。诉讼中有争议的问题是,2015年和2016年支付给胡德的奖金是否超过了胡德实际为公司提供服务的合理高管薪酬。在其备忘录决定中,税务法院对其在处理高管/股东薪酬问题的合理性时所采用的方法和分析进行了详尽的讨论。这种司法讨论提供了有意义的实践指导。
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