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May 1, 2019

IRS Denies Wesley Snipes’ Offer in Compromise

Snipes still owed $23.5 million in back taxes when he was set free. In order to resolve his tax debt, the actor made an OIC of $850,000, or about 4% of the amount he owed.

Ken Berry, JD

The actor Wesley Snipes, who has starred in movies like “White Men Can’t Jump,” and three “Blade” films, has had his fair share of run-ins with the IRS. But the nation’s tax collection agency still won’t play ball with the actor. Despite loosening the reins on tax debtors in recent years, the IRS recently rejected Snipes’ latest “offer in compromise” (OIC).

Back in 2006, Snipes was hit with charges of felony tax fraud and conspiracy. Although he was acquitted of the felony charges, he was convicted of failing to file tax returns between 1999 and 2004. For this six-year stretch, Snipes ultimately ended up doing a four-year stretch in prison.

On appeal, Snipes had complained that he didn’t get a fair shake at trial, and the case went all the way up to the Supreme Court. But the top court dismissed his argument and he was forced to serve the time.

You’d think that would be the end of this tax story, but it’s not. Snipes still owed $23.5 million in back taxes when he was set free. In order to resolve his tax debt, the actor made an OIC of $850,000, or about 4% of the amount he owed.

As per usual, the IRS tried to determine the “reasonable collection potential“ (RCP) of Snipes. This is the amount that the IRS thinks it can reasonably collect from the taxpayer’s assets and future income before the statute of limitations expires. But Snipes wouldn’t cooperate with the IRS investigators.

When the IRS then denied Snipes’ OIC, he accused the agency of abusing their authority. He took the case to court and lost—again.

But there’s still more. Although the IRS eventually offered a buyout of $9.5 million, Snipes refused to budge from his original offer. He claimed that paying anything more would cause him “economic hardship.” This is an exception to the usual OIC requirements. However, the economic hardship exception only applies in unusual circumstances, such as severe illness or disability, other medical conditions or financial needs of dependents.

In November, the Tax Court upheld the decision to deny the low offer made by the actor (Snipes, TC Memo 2018-184, 11/1/18). It appears that Snipes simply can’t win when it comes to taxes.

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Ken Berry, JD, is the tax correspondent for CPA Practice Advisor.

 

 

 

 

 

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Ken Berry, JD

Ken Berry, JD

CPA Practice Advisor Tax Correspondent

Ken Berry, Esq., is a nationally-known writer and editor specializing in tax and financial planning matters. During a career of more than 35 years, he has served as managing editor of a publisher of content-based marketing tools and vice president of an online continuing education company in the financial services industry. As a freelance writer, Ken has authored thousands of articles for a wide variety of newsletters, magazines and other periodicals, emphasizing a sense of wit and clarity.