Neonatology Assoc v. Commissioner IRS

CourtCourt of Appeals for the Third Circuit
DecidedAugust 15, 2002
Docket01-2862
StatusPublished

This text of Neonatology Assoc v. Commissioner IRS (Neonatology Assoc v. Commissioner IRS) is published on Counsel Stack Legal Research, covering Court of Appeals for the Third Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Neonatology Assoc v. Commissioner IRS, (3d Cir. 2002).

Opinion

Opinions of the United 2002 Decisions States Court of Appeals for the Third Circuit

8-15-2002

Neonatology Assoc v. Commissioner IRS Precedential or Non-Precedential: Precedential

Docket No. 01-2862

Follow this and additional works at: http://digitalcommons.law.villanova.edu/thirdcircuit_2002

Recommended Citation "Neonatology Assoc v. Commissioner IRS" (2002). 2002 Decisions. Paper 502. http://digitalcommons.law.villanova.edu/thirdcircuit_2002/502

This decision is brought to you for free and open access by the Opinions of the United States Court of Appeals for the Third Circuit at Villanova University School of Law Digital Repository. It has been accepted for inclusion in 2002 Decisions by an authorized administrator of Villanova University School of Law Digital Repository. For more information, please contact Benjamin.Carlson@law.villanova.edu. PRECEDENTIAL

Filed July 29, 2002

UNITED STATES COURT OF APPEALS FOR THE THIRD CIRCUIT

No. 01-2862

NEONATOLOGY ASSOCIATES, P.A.

v.

COMMISSIONER OF INTERNAL REVENUE

(Tax Court No. 97-1201)

JOHN J. and OPHELIA J. MALL

(Tax Court No. 97-1208)

ESTATE OF STEVEN SOBO, DECEASED and BONNIE SOBO, EXECUTRIX, and BONNIE SOBO, SURVIVING WIFE

(Tax Court No. 97-2795)

AKHILESHI S. and DIPTI A. DESAI

(Tax Court No. 97-2981)

KEVIN T. and CHERYL MCMANUS

(Tax Court No. 97-2985)

ARTHUR and LOIS M. HIRSHKOWITZ

COMMISSIONER OF INTERNAL REVENUE (Tax Court No. 97-2994)

LAKEWOOD RADIOLOGY, P.A.

(Tax Court No. 97-2995)

Neonatology Associates, P.A., John J. and Ophelia Mall, Estate of Steven Sobo, Deceased, and Bonnie Sobo, Executrix, and Bonnie Sobo, Surviving Wife, Akhilshi S. and Dipti A. Desai, Kevin T. and Cheryl McManus, Arthur and Lois M. Hirshkowitz and Lakewood Radiology, P.A.,

Appellants

On Appeal from the United States Tax Court (T.C. Nos. 97-1201/1208/2795/2981/2985/2994/2995) Tax Court Judge: Honorable David Laro

Argued: July 11, 2002

BEFORE: SCIRICA and GREENBERG, Circuit Judges , and FULLAM, District Judge*

(Filed: July 29, 2002)

Neil L. Prupis Lampf, Lipkind, Prupis, Petigrow & LaBue 80 Main Street West Orange, NJ 07052

Kevin L. Smith (argued) Hines Smith 3080 Bristol Street, Suite 540 Costa Mesa, CA 92626

David R. Levin Wiley Rein & Fielding 1776 K Street, N.W. Washington, D.C. 20006

Attorneys for Appellants

Eileen J. O’Connor Assistant Attorney General Kenneth L. Greene Robert W. Metzler (argued) Attorneys Tax Division Department of Justice Post Office Box 502 Washington, D.C. 20044

Attorneys for Appellee _________________________________________________________________

* Honorable John P. Fullam, Senior Judge of the United States District Court for the Eastern District of Pennsylvania, sitting by designation.

Steven J. Fram Archer & Greiner One Centennial Square Haddonfield, NJ 08033

Attorneys for Amici Curiae Vijay Sankhla, M.D., Yale Shulman, M.D., Boris Pearlman, M.D., Marvin Cetel, M.D. and Barbara Schneider, M.D.

OPINION OF THE COURT

GREENBERG, Circuit Judge.

I. INTRODUCTION

This matter comes on before this court on appeal from decisions of the United States Tax Court entered April 9, 2001, in accordance with its opinion filed July 31, 2000, upholding the determination of the Commissioner of Internal Revenue that contributions made by appellants, two professional medical corporations, Neonatology Associates, P.A. and Lakewood Radiology, P.A., into Voluntary Employees Beneficiary Program (VEBA) plans in excess of the cost of term life insurance were taxable constructive dividends to the physicians owning the corporations and their spouses rather than employer deductible expenses. See Neonatology Assoc., P.A. v. Comm’r, 115 T.C. 43 (2000). We refer to the corporations and individuals collectively as "taxpayers." The consequences of the decisions were substantial for the taxpayers inasmuch as the professional medical corporations were denied deductions they had taken for the contributions and the individuals were charged with significant additional taxable dividend income. The court held further that the individual taxpayers were liable for accuracy-related negligence penalties under I.R.C. S 6662(a).

Our examination of the record convinces us that the contributions at the heart of this dispute were so far in

excess of the cost of annual life insurance protection that they could not plausibly qualify as ordinary and necessary business expenses in accordance with I.R.C. S 162. In essence, the physicians adopted a specially crafted framework to circumvent the intent and provisions of the Internal Revenue Code by having their corporations pay inflated life insurance premiums so that the excess contributions would be available for redistribution to the individual shareholders free of income taxes. As correctly recognized by the Tax Court, these contributions were taxable disguised dividends and not deductible expenses. Moreover, as the individual taxpayers could not in good faith avail themselves of the reliance-on-professional defense, the Tax Court duly held them liable for the accuracy-related negligence penalties. Accordingly, for the reasons we elaborate in more detail below, we will affirm the decisions of the Tax Court.

II. BACKGROUND

The evidence at the trial disclosed the following facts. Neonatology is a New Jersey professional corporation owned by Dr. Ophelia J. Mall. Lakewood is a New Jersey professional corporation owned equally at the times material here by Drs. Arthur Hirshkowitz, Akhilesh Desai, Kevin McManus, and Steven Sobo until his death on September 23, 1993. Subsequently Dr. Vijay Sankhla, who is not a party to this action, purchased Sobo’s interest. The spouses of the doctors, John Mall, Lois Hirshkowitz, Dipti Desai, Cheryl MacManus, and Bonnie Sobo, are parties to this action as the doctors and their spouses filed joint income tax returns. In addition, Bonnie Sobo is a party as executrix of her husband’s estate.

Following the enactment of the Tax Reform Act of 1986 (TRA), Pub.L. 99-514, 100 Stat. 2085, insurance salesmen Stephen Ross and Donald Murphy formed Pacific Executive Services (PES), a California partnership designed to provides services to retirement plan administrators and employee benefit advisors unfamiliar with the impact of the TRA. See App. at 377. Specifically, Ross and Murphy devised a program to allow closely held corporations to "create a tax deduction for [ ] contributions to [an] employee

welfare benefit plan going in and a permanent tax deferral coming out." App. at 2672.

To achieve this end, PES created two voluntary employees’ beneficiary associations, the Southern California Medical Profession Association VEBA (SC VEBA) and the New Jersey Medical Profession Association VEBA (NJ VEBA).1 A VEBA, as defined in I.R.C. S 501(c)(9), is a tax-exempt program providing members, their dependents, or designated beneficiaries with life, sick, accident, or other benefits "if no part of the net earnings of such association inures (other than through such payments) to the benefit of any private shareholder or individual."

Under the PES VEBA programs, each participating employer adopts its own plan, maintaining a trust account and designating a trust administrator with exclusive control over all assets. The plan adoption agreement obligates employers to make, whether in the form of group insurance policies or group annuities, contributions towards the life insurance benefits of employees and their beneficiaries, based on a multiple of each employee’s annual compensation.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Welch v. Helvering
290 U.S. 111 (Supreme Court, 1933)
Gregory v. Helvering
293 U.S. 465 (Supreme Court, 1935)
Commissioner v. Heininger
320 U.S. 467 (Supreme Court, 1943)
Commissioner v. Court Holding Co.
324 U.S. 331 (Supreme Court, 1945)
Commissioner v. Lincoln Savings & Loan Ass'n
403 U.S. 345 (Supreme Court, 1971)
United States v. Boyle
469 U.S. 241 (Supreme Court, 1985)
Rogers v. United States
281 F.3d 1108 (Tenth Circuit, 2002)
Hyman S. Zfass v. Commissioner of Internal Revenue
118 F.3d 184 (Fourth Circuit, 1997)
Robert Gruber, Theresa Penza, on Behalf of Themselves and All Others Similarily Situated Including Their Dependents Glenwood Beer Distributors, Inc. Beechwood Industries, Inc., on Behalf of Themselves and All Other Employers Similarily Situated Ralph Genovese Al Chaney Brian Miller, Representative Employee Paramount Lists, Inc., as a Representative Employer v. Hubbard Bert Karle Weber, Inc. John Gordon J. Patrick Karle Richard McClure Ronald D. Maxwell Timothy Mehl William M. Hilbert J. Boyd Bert, Jr. C. John Weber, III Buckley Hubbard Buckley Hubbard, Iii, Individually and as Duly Elected Members of the Board of Directors of Leea And/or Officers of Leea v. Pennsylvania Insurance Guaranty Association, Third-Party (d.c. Civil No. 85-00063e). Western World Insurance Company, Inc. And Tudor Insurance Company v. Buckley Hubbard, Jr. Buckley Hubbard, III J. Boyd Bert, Jr. J. Patrick Karle C. John Weber John Gordon Richard McClure Ronald D. Maxwell Timothy Mehl William Hilbert Hamot Medical Center of the City of Erie, Pennsylvania, Individually and on Behalf of All Others Similarly Situated St. Joseph Riverside Hospital Robert Gruber, Individually and on Behalf of All Others Similarly Situated and Glenwood Beer Distributors, Inc. Individually and on Behalf of All Others Similarly Situated Erie Indemnity Company Industrial Insurance Company Pennsylvania Insurance Guaranty Association Lexington Insurance Company v. Saint Vincent Health Center, (Intervenor in District Court) (d.c. Civil No. 87-00213e) Western World Insurance Company, Inc. And Tudor Insurance Company
159 F.3d 780 (Third Circuit, 1998)

Cite This Page — Counsel Stack

Bluebook (online)
Neonatology Assoc v. Commissioner IRS, Counsel Stack Legal Research, https://law.counselstack.com/opinion/neonatology-assoc-v-commissioner-irs-ca3-2002.