(Part II of III) Part one of this three-part series summarized the facts regarding Clary Hood, Inc. (“CHI”) and the basis for the litigation. This second article focuses on the Tax Court’s analysis of the reasonableness of compensation issue in the Hood decision. Introduction The U.S. Tax Court decision in Clary Hood, Inc. v. Commissioner[1] provides important practical guidance to private companies and to private company owners—and to their legal, accounting, and valuation analysts—regarding the reasonableness of executive/shareholder compensation income tax deductions. In this decision, the Tax Court provides a fulsome discussion of its application of the so-called multifactor approach…
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Is transitioning into the CEO position all in your head? Or are there many intricacies involved you may not have thought of? Author David McCann for CFO Publishing, looks at Gary Burnison to share his views and his compelling narrative on the topic. To find out more on the CFO’s article, click: Moving from CFO to CEO: A Half Brainer.