CCH Tax Day Report In a case of first impression, the Tax Court concluded that an accrual-basis S corporation and the cash-basis participants in its employee stock ownership plan (ESOP) were related persons for purposes of the Code Sec. 267(a)(2) “matching rule” that deferred the corporation’s deductions for accrued payroll expenses until the wages were […]
The post S Corporation and Employees Were Related Persons for Purposes of Matching Deductions and Income of ESOP (Petersen, TC) appeared first on Tax & Accounting Blog.