Tax-QA330 Online Services

 
The purpose of this assignment is for you to gain experience, 1) conducting tax research, and 2) communicating a recommendation effectively through the use of a tax research memo. The assignment includes one mini-case regarding a fictitious tax-related scenario. Read the scenario carefully, and then begin researching your recommendation, using authoritative and non-authoritative sources. Begin your research with the official Internal Revenue Code:
 
What you will turn in
 
You will turn in a tax research memo. Include the following section titles in order. As indicated by the example below, titles must be in bold and must begin at the left side of the page. See p. 338 of the Collins (2016) textbook for an example of the format that must be used for this assignment.

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Use the following rules: double-space, 1” margins, Times New Roman font size 12. Write clearly and concisely so that the tax memo is no more than two or three pages (not including the reference section). You must use in-text citations throughout your paper, and provide a reference list at the end of your work. Follow APA rules for in-text citations (see eCollege) and references. Try to minimize your use of directly quoted material. Much of your writing should be your own analysis, explanation, and recommendation of what you found in your research. Clearly state any assumptions that you make.
 
The mini-case for this assignment is on the next page.
 

Mini-case

 
Werner’s brother Klaus was in love with American football and was a huge Washington Redskins fan. The Redskins had recently lost their regular kicker to an injury. They picked up a new kicker on waivers, but he was a disappointment. Knowing of Werner’s kicking ability; Klaus was convinced that Werner could help the Redskins. Klaus, an amateur American football player himself, trained Werner in kicking field goals. Klaus took Werner to a Redskins workout and introduced him to the kicking coach. As a result, Werner was given a tryout by the Redskins, who were desperate for a good kicker. Werner’s performance was far superior to others at the tryout, and the Redskins offered him the job. Werner was reluctant to accept the offer because he had planned to return to Germany in a few weeks to continue his soccer career. Considerable encouragement from Klaus and the Redskins organization seemed to be in vain until the Redskins, at Klaus’s suggestion, offered Werner a $100,000 bonus.
 
At this point, Werner overcame his reluctance and signed a contract, which Klaus co-signed as a witness and interpreter. Economically speaking, the regular salary offered by the Redskins was considerably more attractive than his salary as a soccer player in Germany. Grateful to his brother for assisting as an interpreter and negotiator, and for encouraging him to stay, Werner instructed the Redskins to pay $15,000 of the negotiated bonus directly to Klaus. Klaus reported the $15,000 as other income on his 2013 income tax return and paid the appropriate tax. After examining Werner’s 2013 tax return, the IRS made a deficiency assessment claiming that the $15,000 paid to Klaus constituted income to Werner and should thus be included in his income.
 
Your manager has asked you to prepare a tax research memo indicating how the $15,000 should be treated for tax purposes for Werner.

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