In article <2267292.312.1337114215028.JavaMail.geo-discussion-forums@ynjj16>,
Confused <*@
lippman.info> wrote:
>John Smith is the majority stockholder of ABC Corp.
>In 2007 ABC pays Smith a $1M bonus.
>In 2012 the minority stockholders win a judgement ordering Smith to
>repay the bonus plus interest as misappropriation.
>
>Since it is too late to amend the 2007 return can Smith get his tax
>payment back.
>Can he deduct the repayment from his 2012 return? (were he to have the
>income...)
>Will the repayment be income to ABC?
>What does ABC do about their 2007 return where they deducted it?
This sounds like a Repayment.
If the repayment of income declared and taxed in an earlier year
is not more than $3000, that amount can be claimed as a Schedule A Misc
deduction subject to reduction by 2% of AGI.
But if more than $3000, it is subject to recovery under the Claim of
Right doctrine.
Under the CofR doctrine, taxpayer may chose one of two methods to
recover:
a) A Schedule A Misc deduction Not subject to 2% reduction, or
b) Calculate and recover as a tax credit the difference between
tax paid in the earlier year assuming no income corresponding
to the repayment amount, and actual tax paid.
See IRS Pub 525 for a longer discussion on Repayments and how to
calculate the tax credit due to asserting the Claim of Right.
Since the repayment was in a later year, there is no amended return
even if SOL is still running.
--
ArtKamlet at a o l dot c o m Columbus OH K2PZH