HAROLDS CLUB V. COMMISSIONER
340 F.2d 861 (9th Cir. 1965)
NATURE OF THE CASE: This was a dispute over the payment of a large salary to an employee.
Harolds (P) sought review of an order from a tax court allowing an annual salary of $ 10,000
plus 15 percent of P's net income as a business expense deduction.
FACTS: Harolds Club (P) was a casino in Las Vegas, Nevada. It paid annual salaries and
bonuses to Smith in the amount of $350,000 to $650,000 per year. The IRS disallowed the
deduction of these payments in that Smith was not a shareholder in the corporation stock,
all of which was owned by his two sons. The business was also a continuation of one that
Smith had earlier operated illegally in California but subsequently moved to Nevada. When it
moved, the business was a sole proprietorship of one of the sons and then became a
partnership of the two sons and then became a corporation. The business did not prosper at
first but eventually Smith agreed to take over the casino. Smith was paid a salary and a
bonus and eventually Smith was given a fixed percentage arrangement of 20% of the profits as
a bonus. This was not an uncommon situation in the gaming business. By 1952 employment at
the casino was in excess of 800 people. Competitors testified that the salary arrangement
was reasonable for the industry and that Smith was worth that much. The Tax Court determined
that the amounts were unreasonable and should not be allowed as a deduction because they
were not the result of a free bargain between the parties; this because of the family
relationship and the circumstances that indicated that he dominated the parties.
ISSUE:
RULE OF LAW:
HOLDING AND DECISION:
LEGAL ANALYSIS:
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