[外電] Tax men strike out against McCourts
看板Dodgers作者Westmoreland (Five Tools/Seven Skills)時間15年前 (2010/02/24 12:40)推噓0(0推 0噓 0→)留言0則, 0人參與討論串1/1
文章標題標題:
Tax men strike out against McCourts
全文:
To everyone who claims that our wealthiest citizens pay more than their
fair share of income taxes and we should cut them a break because
they're the ones who, you know, create jobs in our economy, I have four
words for you:
Frank and Jamie McCourt.
The McCourts, who own the Los Angeles Dodgers (so she says; he says he's
the owner and she's not), jointly pocketed income totaling $108 million
from 2004 through 2009, according to documents Jamie McCourt recently
filed in the couple's divorce case in Los Angeles County Superior Court.
On that sum, they paid zero federal and state income tax. Jamie suggests
that some tax breaks will apply this year too.
This reminds me of the old line about how true scandal lies not in
what's illegal, but what's legal. It's certainly an edifying window into
the lengths some people will go to avoid paying taxes.
The court papers indicate that the McCourts deliberately structured
their business at least partially to allow them to live tax-free.
Frank McCourt's lawyer, Marc Seltzer, didn't directly dispute Jamie's
characterizations of the couple's tax planning or the details of their
finances. He did, however, call her document filings "selective" and
complained by e-mail that she made public "information which most people
would respect as private."
According to Jamie, the McCourts employed two mechanisms to live tax-
free. One was to claim enormous tax losses from their business, which
was mostly commercial real estate before they bought the Dodgers. These
could be carried forward, offsetting income year after year until they
were finally netted out. Jamie's documents say that in 2008 the net loss
carry-forward from previous years was $109 million -- in other words,
the McCourts could have earned that much without paying a penny of
income tax.
A year later, the loss carry-forward had increased to $135 million,
which makes it sound as if 2008 was one horrible year. Yet according to
another document Jamie filed in court, one of Frank's partnerships paid
him $23 million that year.
Did the McCourts really lose $135 million in the years before 2009?
Probably not in the sense that you or I suffer a loss when a dollar bill
slips through a hole in our jeans, or even when we sell that stock our
brother-in-law described as "a slam dunk" for less than we paid for it.
"They're tax losses. I don't mean real losses," Jamie's lawyer, Bert
Fields, told me.
Fields, who assured me that everything the McCourts have done is
legitimate, tax-wise, wasn't entirely clear on how the losses were
generated. But Jamie's accountant states in a court document that some
is due to depreciation, which is a way of accounting for wear and tear
on a property.
Depreciation is a non-cash expense that can be applied against cash
income, reducing your income taxes or creating a loss to show the tax
man, even though you're making money. It's common in real estate, though
it can also be applied to things like a sports team's player contracts.
Depreciation is technically a tax deferral, not an exemption, but the
reckoning can be years off.
In any case, one would also think that if the McCourts' business were
truly suffering operating losses of such magnitude, eventually it would
no longer have the proverbial urn to fill. It's unclear whether this is
so -- the document dump includes a 2007 e-mail from an officer of the
McCourt Group, one of the family's major holding companies, observing
that the group "has squat for assets" and needs "start up capital and
cash flow" -- but that's just one subsidiary.
Another McCourt maneuver involves financing and refinancing their
assets. The tax rules allow real estate owners to refinance properties
with rising values and take out cash tax-free. (Many homeowners engaged
in similar "cash out" refis during the housing boom). Land developers
can transfer tax credits from property to property, like an NFL team
booting a fumbled ball toward the goal line, until time runs out or the
market crashes.
The McCourts have also borrowed against future business income -- in
2007 they took out a $140-million loan against future Dodger ticket
sales, of which $20 million went to fund their lifestyles, tax-free. Of
course, when the loan comes due, the piper will have to be paid, but
interest on the loan will be tax-deductible for the Dodgers, Jamie's
lawyers say.
It's proper to acknowledge that tax breaks like these can have a
legitimate purpose. The idea is that they encourage certain investments,
such as real estate development, that may energize the economy and
create jobs.
Is that what's happening here? The tax benefits reaped by the McCourts
helped turbocharge their lifestyle. There are eight houses, including
four in Holmby Hills and Malibu. The McCourts treated their family and
business checkbooks as "largely one and the same," according to an e-
mail from a McCourt executive Jamie filed in court. (Oddly, the e-mail
ascribes to her the philosophy of "why have a family business but to
support the family lifestyle.") This paid for meals in the best
restaurants, floral arrangements for home and office from the finest
florists, country club dues, personal travel on the Dodgers plane,
Jamie's makeup "for Dodger events" ($386 a month).
The point is not to begrudge the McCourts these luxuries. The point is
to question why we as taxpayers should subsidize them. Jamie asserts
that, although the state of Massachusetts is auditing the couple's
personal returns for 2006 (they used to be based in the Bay State),
neither California nor the Internal Revenue Service is doing so. This
raises another question: Why not?
Can we as taxpayers be confident we aren't paying more than our fair
share? Jamie alleges that for the purposes of the divorce, Frank has
manipulated the business accounts to make himself look $670 million
poorer than he is. Delivering fake numbers to the IRS is a rather
different matter from delivering them to your spouse in a divorce
action, but the McCourts structured their business as a stew with a lot
of complicated ingredients, which makes it hard to verify that all the
tax breaks are fully warranted.
People who practice tax avoidance on this scale don't often emerge with
their images unsullied. When a Senate committee revealed in 1933 that
J.P. Morgan Jr. and his partners had paid no income taxes for 1930, 1931
and 1932, their reputation for probity was shattered; the uproar helped
the New Deal bring Wall Street under regulation. Leona Helmsley's 1989
conviction for tax evasion wrecked her elegant image forever (I am not
suggesting the McCourts broke the law, as she did). But she did bequeath
us the credo of the wealthy non-taxpayer.
"Only the little people pay taxes," she reportedly told a maid. The
lesson of the McCourts is slightly different: The little people pay
taxes for the big people.
原文文章連結:
http://www.latimes.com/business/la-fi-hiltzik24-2010feb24,0,5865964.column
By Michael Hiltzik
February 24, 2010
--
※ 發信站: 批踢踢實業坊(ptt.cc)
◆ From: 118.160.68.220
Dodgers 近期熱門文章
PTT體育區 即時熱門文章
27
37