QUESTION
Research Problem 2
Research Problem 2
Mason owns Brickman, Inc., which specializes in laying brick patios, terraces, and walkways. Mason bids on a contract with State University to build several large terraces as well as the walkways adjoining the terraces. Although he is the low bidder, Mason is approached by Don, purchasing agent for State University, who lets Mason know that to secure the contract, Mason must make a cash payment to a firm that is building a swimming pool for Don. Mason makes the required payment and secures the contract. Later, Don demands, and Mason makes, a payment to a rancher for the purchase of a horse for Don’s children. The payments made by Mason are not illegal under state law. Mason seeks your advice as to the deductibility of these payments.
Read and analyze the following authorities, and determine whether Mason can deduct the payments he made to Don:
- Sec. 162.
- Raymond Bertolini Trucking v. Comm., 736 F.2d 1120 (6th Cir., 1984).
- Car-Ron Asphalt Paving Co. Inc. v. Comm., 758 F.2d 1132 (6th Cir., 1985).
Write a letter to Mason explaining why he can/can’t deduct the payments to Don. Remember Mason is not a tax expert so you need to write the letter in a way Mason can understand the issues, reasoning and conclusions.
The letter should be no longer than 1.5 pages using 12 point font. Please use the format for a formal business letter.
RUBRIC FOR TAX RESEARCH MEMO AND CLIENT LETTER Purpose and content of memo – |
3 |
2 |
1 |
• • Are the facts clearly stated? • • Are the tone and technical level appropriate to the audience?
|
Meets all criteria at high level |
Meets some criteria; uneven |
Meets few criteria |
Organization and development – |
3 |
2 |
1 |
• • Are ideas presented in a logical manner? • • Does organization of thoughts follow logically? • • Is the conclusion supported by the concepts and facts?
|
Well-prepared with logical reasoning |
Some lapses in clarity |
Meets few criteria; often unclear or undeveloped |
Tax content – |
3 |
2 |
1 |
• • Are the tax issues identified and addressed? • • Are the facts in the authorities and the facts in the case distinguished? • • Are the authorities properly cited?
|
Meets all criteria at high level; clear, easy to follow |
Meets some criteria; uneven or has some lapses in clarity or development |
Cites RIA paragraph, missing cites |
Letter to the client – |
3 |
2 |
1 |
• • Is the letter to the client clearly written? • • Are the relevant facts stated? • • Are the issues explained? • • Can the client follow the logic of the writer’s argument? • • Appropriate to the audience?
|
Precise style, explains clearly the issues, reasoning easy to follow. |
Clear, but at times lacking conciseness or precision; too technical |
Often unclear or underdeveloped. Ideas are vague |
Professional presentation – |
3 |
2 |
1 |
• • Are the letter and memo edited properly
|
Flawless grammar, spelling, and punctuation |
Some errors in grammar, spelling, and punctuation |
Many errors in grammar, spelling, and punctuation |
Overall Effectiveness of Documents |
3 |
2 |
1 |
• • Effectively accomplishes tax professional’s purpose of calling attention to a problem, proposing a solution, and giving strong reasons for acting on the proposal. • • Will make a persuasive first impression on intended audience if sent in present form • • Shows strong “ethos”—gives decision maker a favorable impression of the writer’s professional, motives, and good will
|
Ready to submit with only minor revisions |
Good potential but some/ significant revision still needed |
Back to the drawing board |
Subject | Research Analysis | Pages | 9 | Style | APA |
---|
Answer
Letter Concerning Deductibility
Your Name
Your Street Address
Your City, State Zip
February 14, 2021
Mr. Mason
Chief Executive Officer
Brickman, Inc.
Street Address
City, State Zip
Dear Mr. Mason:
I trust this letter finds you well. I am writing to you concerning the deductibility of the payments made to Mr. Don. I have outlined various facts, issues, conclusions, and reasoning concerning this matter.
Facts
Below are the identified facts
- The issue at hand comprises deductibility under Sec. 162 (a) of legal bribes and kickbacks as necessary and ordinary expenditures. An ordinary expenditure is one that individuals in given business practice and accept as usual, whereas necessary expenditure aids or is significant for your trade.
- Nobody witnessed the transactions between you and Mr. Don.
- Brickman, Inc. was the low bidder for the tender.
- The payments you made were legal under state law.
Issues
Below are the issues
- Since there were no witnesses or proof of payment, there is no evidence that you made payments to Mr. Don.
- Issuing kickbacks are ordinary in your trade, but since Brickman Inc. had the low bid, it would get the tender without giving the kickback. Therefore, the kickback was not necessary.
- The payment made was legal, and no evidence of coercion or threats from Mr. Don.
Conclusion
The deductibility of the payments you paid to Mr. Don is not possible. Meaning you, as a person or as Brickman Inc., cannot deduct the payments made to Mr. Don.
Reasoning
Based on Sec. 162 (a) (3), “no deduction shall be allowed under subsection (a) for any kickback, rebate, or bribe made by any provider of services …” you are not able to deduct the payments made to Mr. Don.
There is no evidence that you actually paid Mr. Don any money. The payments were usually through third parties, and you are not capable of linking it directly to Mr. Don, who can argue that he never received any payment from you. There is no proof of payment since the payments were through cash.
The law requires that expenditure made should be both ordinary and necessary. In your case, the expenditure was ordinary since it is a common trait to give kickbacks to get tenders. Since Brickman was the lowest bidder than the others, the tender should have been yours without giving any kickback, and the kickback was not significant in helping your business. From that logic, your expenditure was not necessary. Since your case does not meet both conditions for ordinary expenditure and necessary expenditure, you cannot deduct the payments made to Mr. Don.
Sincerely,
[Name]
47.QUESTION
Analysis of CPM Matrix for Disney
Step 4: Prepare a CPM that includes the team’s company and two primary competitors.
Step 5: In 250-350 words, write a brief explanation of the findings and implications of the data identified in the CPM.
**I have already completed the CPM matrix for you to use as a reference. I have also attached a word document that includes more information about Disney from our book.
**This is our book we are using:
David, F. R., David, F. R., & David, M. E. (2020). Strategic management concepts and cases: A competitive advantage approach (17th ed.). New York, NY: Pearson Education. ISBN-13: 9780135203699
ANSWER
Analysis of Competitive Profile Matrix (CPM) for Disney
The competitive Profile Matrix (CPM) serves as a tool that compares companies and their rivals and reveals their relative weaknesses and strengths (David, David, and David, 2020). The table below shows the outcomes of the CPM for Disney:
Table I: Outcome of the CMP for Disney
In the above table, it can be noted that the critical success factors in the industry are advertising, market penetration, customer service, store location, research and development, employee dedication, and financial profit. Other CSFs in the industry are customer loyalty, market share, product quality, top management, and price competitiveness. Critical success factors (CSF) involve the primary areas that establish companies’ success within an industry. Disney’s primary competitors are Comcast and CBS. Bhattacharjee (2015) asserts that firms can succeed in an industry when they perform at their highest possible levels of excellence. Disney’s highest level of performance exist in the areas of market penetration, customer services, financial profit, customer loyalty, and market share, where the rating is 4 for each of these areas. However, the company has minor strength in the areas of product quality and price competitiveness, where the score each of these areas is 3. On the other hand, the firm has minor weakness in the areas of top management, employee dedication, store locations, and advertising, where the rating for each of these areas is 2. The company’s major weakness exists in the area of research and development, where the rating is 1. Nonetheless, the most significant CSFs for Disney’s success based on weighting are advertising (0.15), market penetration (0.13), customer service (0.07), financial profit (0.13), customer loyalty (0.08), product quality (0.08), top management (0.08), and price competitiveness (0.08). Among these areas, Disney registers the highest level of performance in the areas of market penetration, customer service, financial profit, and customer loyalty. The company has minor strength in the area of product quality and price competitiveness. Disney has minor weakness in the areas of top management and advertising. The implication of these findings is that Disney should focus on improving the areas of product quality, price competitiveness, top management and advertising for the company to realize success in the industry. Moreover, more resources should be invested in the areas of advertising and top management relative to price competitiveness and product quality, where the company scores the lowest or is the weakest relative to its key rivals, CBS and Comcast.
.
References
-
Bhattacharjee, D. (2015). Competitive Profile Matrix: A Theoretical Review. ABAC Journal. 35. 61-70.
David, F. R., David, F. R., & David, M. E. (2020). Strategic management concepts and cases: A competitive advantage approach (17th ed.). New York, NY: Pearson Education. ISBN-13: 9780135203699
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