Thanks to the Roth CPA.com for referring us to this interesting tax court case in which the IRS sought to tax a settlement received by a cameraman who was allegedly injured by a very well-known basketball player in what the court referred to as the “incident.” (T.C. Memo. 2003-329). The writer notes that the Bulls won in that game 112-102 and that the player received an 11-game suspension and a $25,000 fine from the NBA. The cameraman walked away with $200,000 and the IRS later claimed its fair share. Did the IRS win? Partially. The court held that the IRS could tax only $80,000 of the settlement and that the other $120,000 was paid on account of physical injuries and therefore excludable from income.
Who Said Tax Cases Were Boring?
Thanks to the Roth CPA.com for referring us to this interesting tax court case in which the IRS sought to tax a settlement received by a cameraman who was allegedly injured by a very well-known basketball player in what the…