Podcast appearances and mentions of Miller V Commissioner

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Latest podcast episodes about Miller V Commissioner

Ed Zollars' Tax Update Podcast
Is it Really My Loan? S Corporation Debt Once Again.

Ed Zollars' Tax Update Podcast

Play Episode Listen Later Jun 23, 2006 31:15


A few weeks ago (back in April) we looked at the case of Ruckreigel where a taxpayer lost an IRS challenge on whether a debt was truly from the shareholders to the corporation due to a failure to follow the necessary formalities.  This week, the taxpayers strike back with a taxpayer victory in the case of Miller v. Commissioner (TC Memo 2006-125) where the IRS fails in its attempt to reclassify debt that followed the proper form but which the IRS attempted to claim was really debt from the bank to the corporation.The taxpayer achieved victory on this point and the issue of whether the taxpayer was truly at risk as defined in Section 465, even though when all was said and done the taxpayer got out of all liability as the debt was actually paid by other investors who had guaranteed the entire loan structure.  This is an interesting case in showing the extreme importance of following proper form because, from an economic standpoint, the taxpayers in Ruckreigel seem to have much real exposure to potential loss than Mr. Miller actually ended up having, but he got his deduction.The materials can be downloaded from http://edzollars.com/2006-06-23_S_Debt.pdf.This podcast is sponsored by Leimberg Information Services, Inc., on the web at http://www.leimbergservices.com.

debt irs loans corporations s debt commissioner tc memo ruckreigel miller v commissioner
Cases, Rulings, Regulations
Is it Really My Loan? S Corporation Debt Once Again - Ed Zollars

Cases, Rulings, Regulations

Play Episode Listen Later Jun 23, 2006


This Podcast is about the importance of following proper form in corporate debt situations. A few weeks ago (back in April) we looked at the case of Ruckreigel where a taxpayer lost an IRS challenge on whether a debt was truly from the shareholders to the corporation due to a failure to follow the necessary formalities. This week, the taxpayers strike back with a taxpayer victory in the case of Miller v. Commissioner (TC Memo 2006-125) where the IRS fails in its attempt to reclassify debt that followed the proper form but which the IRS attempted to claim was really debt from the bank to the corporation.The taxpayer achieved victory on this point and the issue of whether the taxpayer was truly at risk as defined in Section 465, even though when all was said and done the taxpayer got out of all liability as the debt was actually paid by other investors who had guaranteed the entire loan structure. This is an interesting case in showing the extreme importance of following proper form because, from an economic standpoint, the taxpayers in Ruckreigel seem to have much real exposure to potential loss than Mr. Miller actually ended up having, but he got his deduction.The materials can be downloaded from http://edzollars.com/2006-06-23_S_Debt.pdf. This Podcast is sponsored by Leimberg Information Services, Inc. at http://www.leimbergservices.com Please visit our software, books, and PowerPoint Presentations site at http://www.leimberg.com

debt irs loans corporations powerpoint presentations ed zollars s debt commissioner tc memo ruckreigel miller v commissioner
Corporate Tax Planning
Is it Really My Loan? S Corporation Debt Once Again - Ed Zollars

Corporate Tax Planning

Play Episode Listen Later Jun 23, 2006


This Podcast is about the importance of following proper form in corporate debt situations. A few weeks ago (back in April) we looked at the case of Ruckreigel where a taxpayer lost an IRS challenge on whether a debt was truly from the shareholders to the corporation due to a failure to follow the necessary formalities. This week, the taxpayers strike back with a taxpayer victory in the case of Miller v. Commissioner (TC Memo 2006-125) where the IRS fails in its attempt to reclassify debt that followed the proper form but which the IRS attempted to claim was really debt from the bank to the corporation.The taxpayer achieved victory on this point and the issue of whether the taxpayer was truly at risk as defined in Section 465, even though when all was said and done the taxpayer got out of all liability as the debt was actually paid by other investors who had guaranteed the entire loan structure. This is an interesting case in showing the extreme importance of following proper form because, from an economic standpoint, the taxpayers in Ruckreigel seem to have much real exposure to potential loss than Mr. Miller actually ended up having, but he got his deduction.The materials can be downloaded from http://edzollars.com/2006-06-23_S_Debt.pdf. This Podcast is sponsored by Leimberg Information Services, Inc. at http://www.leimbergservices.com Please visit our software, books, and PowerPoint Presentations site at http://www.leimberg.com

debt irs loans corporations powerpoint presentations ed zollars s debt commissioner tc memo ruckreigel miller v commissioner
S Corporations
Is it Really My Loan? S Corporation Debt Once Again - Ed Zollars

S Corporations

Play Episode Listen Later Jun 23, 2006


This Podcast is about the importance of following proper form in corporate debt situations. A few weeks ago (back in April) we looked at the case of Ruckreigel where a taxpayer lost an IRS challenge on whether a debt was truly from the shareholders to the corporation due to a failure to follow the necessary formalities. This week, the taxpayers strike back with a taxpayer victory in the case of Miller v. Commissioner (TC Memo 2006-125) where the IRS fails in its attempt to reclassify debt that followed the proper form but which the IRS attempted to claim was really debt from the bank to the corporation.The taxpayer achieved victory on this point and the issue of whether the taxpayer was truly at risk as defined in Section 465, even though when all was said and done the taxpayer got out of all liability as the debt was actually paid by other investors who had guaranteed the entire loan structure. This is an interesting case in showing the extreme importance of following proper form because, from an economic standpoint, the taxpayers in Ruckreigel seem to have much real exposure to potential loss than Mr. Miller actually ended up having, but he got his deduction.The materials can be downloaded from http://edzollars.com/2006-06-23_S_Debt.pdf. This Podcast is sponsored by Leimberg Information Services, Inc. at http://www.leimbergservices.com Please visit our software, books, and PowerPoint Presentations site at http://www.leimberg.com

debt irs loans corporations powerpoint presentations ed zollars s debt commissioner tc memo ruckreigel miller v commissioner