I JUST REV'D THIS EMAIL. Nothing new but it could mean heavier concentration in this area coming up...............?????????
S Corporation Officers Must Treat Payments For Services As Taxable Wages, IRS Says
Subchapter S corporations should treat payments for services to officers as wages and not as distributions of cash and property or loans to shareholders, the Internal Revenue Service said in a fact sheet (FS-2008-25) on wage compensation for S corporation officers.
IRS said corporate officers are specifically included in the definition of employee for purposes of the Federal Insurance Contributions Act, the Federal Unemployment Tax Act, and federal income withholding tax. “The Internal Revenue Code establishes that any officer of a corporation, including S corporations, is an employee of the corporation for employment tax purposes,” IRS stressed in the recently released fact sheet, which was dated August 2008.
A copy of the fact sheet may be found at the following weblink: http://www.irs.gov/newsroom/article/...200293,00.html
S Corporation Officers Must Treat Payments For Services As Taxable Wages, IRS Says
Subchapter S corporations should treat payments for services to officers as wages and not as distributions of cash and property or loans to shareholders, the Internal Revenue Service said in a fact sheet (FS-2008-25) on wage compensation for S corporation officers.
IRS said corporate officers are specifically included in the definition of employee for purposes of the Federal Insurance Contributions Act, the Federal Unemployment Tax Act, and federal income withholding tax. “The Internal Revenue Code establishes that any officer of a corporation, including S corporations, is an employee of the corporation for employment tax purposes,” IRS stressed in the recently released fact sheet, which was dated August 2008.
A copy of the fact sheet may be found at the following weblink: http://www.irs.gov/newsroom/article/...200293,00.html
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