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The IRS eyes professor's movie: a taxation case exercise

Jayanti Bandyopadhyay (Bertolon School of Business Salem State University, Salem, Massachusetts, USA)
Paul F. McGee (Bertolon School of Business Salem State University, Salem, Massachusetts, USA)
Linda A. Hall (State University of New York at Fredonia, Fredonia, New York, USA)

Publication date: 1 May 2013

Abstract

Case description

This case illustrates the tax implications of a movie produced in a foreign country that resulted in a loss. Teaching opportunities include the application of tax rules to a Schedule C business loss and a resulting net operating loss (NOL) deduction, the consideration of hobby and passive activity losses, the tax treatment of funds received in a divorce settlement, and how an individual might handle a possible IRS examination. Students are asked to prepare a revised Form 1040 for the movie business loss and the individual NOL deduction based on evidence provided in the case. Sufficient information is provided in the case to identify audit “red flags” in a tax return. Using the tale of an actual movie production in a foreign country and its consequent tax implications can provide an attractive alternative to teaching tax accounting rules that are often considered by students as “dry”.

Keywords

Citation

Bandyopadhyay, J., McGee, P.F. and Hall, L.A. (2013), "The IRS eyes professor's movie: a taxation case exercise", , Vol. 9 No. 2, pp. 58-64. https://doi.org/10.1108/TCJ-09-2013-B006

Publisher

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Emerald Group Publishing Limited

Copyright © 2013, Emerald Group Publishing Limited

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