Developer’s yacht deductions run aground
$225.00
Description
Abstract: Many businesses have stretched the definition of “marketing” to claim some questionable federal income tax deductions. This article reviews a recent case involving a real estate developer that illustrates how the IRS — and the U.S. Tax Court — generally see through these tactics. Becnel v. Commissioner, T.C. Memo. 2018-120, Aug. 2, 2018
Additional information
Year | |
---|---|
Niche | |
Newsletter | |
Issue | |
Word Count |