Tax Memo
Dear DRA or CCRA Member:
Both of California's court reporting trade
associations representing deposition reporters want to make you aware
of some important tax and legal information
for you and your clients.
As you may know, many court reporting firms have been promising
valuable incentives to law firm secretaries and assistants in exchange for
those secretaries and assistants booking depositions with the firm. DRA and
CCRA retained the law firm of Hanson Bridgett to review the tax implications
of these incentives.
According to the Hanson Bridgett analysis, your clients should
be aware that offers of such incentives raise potentially serious
tax consequences for law firms and their employees. As Hanson Bridgett
writes:
Given
that the incentives provided by Reporting Firms in exchange for business are
payments for services rather than gifts, the [Internal Revenue Code] requires
the recipients of those payments to treat the value of the incentives as gross
income. This means that recipients must report the value of the incentives
they receive as income on their tax returns. Failure to do so could result
in the assessment of additional taxes, interest and penalties by the Internal
Revenue Service.
A law firm having a general policy in place may not be enough
to avoid tax questions, according to the memo:
Where law firms have policies in place prohibiting
employees from accepting incentives, serious tax issues may still arise to
the extent these policies are not enforced.
Moreover, the memo details that there are serious tax and
IRS issues as well for the court reporting firms offering these incentives.
The memo can be found at:
http://www.caldra.org/MediaFiles/HansonBridgett_Tax_Memo.pdf
The Hanson Bridgett memo explaining the tax implications of
such incentives offered in exchange for business comes on the heels of the
California Court Reporters Board citing and fining U.S. Legal for violating
the Board's regulations on so-called gift giving. www.courtreportersboard.ca.gov/lawsregs/cite-fine.pdf
Our organizations have long believed that for the market to
promote high quality transcripts at reasonable prices, quality and price -
not goodies - must be the main reason to select deposition services. Certainly,
it is difficult to imagine selecting other licensed professionals (lawyers,
doctors) on the basis of such incentives, and for good reason: incentives
distort the market away from rewarding quality reporting and, by doing so,
hurt the interests of justice.
You are free to provide the Hanson Bridgett memo to your clients
if, in your judgment, you feel your clients would be interested in or benefit
from them.
| Lisa Michaels | Debby Steinman |
PRESIDENT, DRA |
PRESIDENT, CCRA![]() |
Deposition Reporters Association of California
1900 Point West Way, Suite 146
Sacramento, CA 95815-4706
888-867-2074
916-487-7105 Fax
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