BORGE V. COMMISSIONER
405 F.2d 673, cert. denied 395 U.S. 933 (1968)
NATURE OF THE CASE: This was a dispute over the reallocation of profits between a
corporation and its sole asset the actor who it hires out.
FACTS: From 1952 until 1958, Borge (P), an individual operated ViBo Farms where he
developed, produced, processed and sold quality chickens known as rock cornish hens. He
suffered substantial losses each year but he deducted those from his income he earned as an
entertainer. In 1958, P organized Danica and transferred to the corporation, in exchange for
all of the stock and a loan payable, the assets of the poultry business except for the farm
property. P made large sums from television and stage as well as motion pictures. P and
Danica entered into a contract under which P agreed to perform entertainment and promotional
services for the corporation for a 5-year period for $50,000 per year. Danica then used the
entertainment profits to offset the poultry losses. Danica did nothing to aid P in his
entertainment business. Those who contracted with Danica for P's services also required that
P personally guarantee the contracts. Danica's only profits were from the entertainment
business and those were attributable solely to P. The only year that Danica paid P anything
was in 1962 when P was paid a full $50,000. Under 482 the Commissioner allocated additional
monies to P of $75,000 per year from 1958-1961 and another $25,000 in 1962. The IRS reasoned
that P had owned both businesses and had merely assigned a portion of his income from the
entertainment business to Danica and Danica had done nothing to earn that money. The Tax
Court agreed and P appealed on grounds that he was not an organization or trade or business.
ISSUE:
RULE OF LAW:
HOLDING AND DECISION:
LEGAL ANALYSIS:
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