This case was here initially,
Rubin contended on remand that § 482 was inapplicable, primarily because of the absence of any organization, trade or business other than Park — a contention which, if sustainable, would simply have put the case back where it was in the first instance. However, in a decision by Judge Fay, reviewed by the full court,
Like the Tax Court, we are unable to see any significant distinction between this case and the decisions previously cited. Rubin’s rendition of management services to Dorman, for which Park was paid sums largely in excess of Rubin’s salary and any associated expenses, was as much a trade or business as Borge’s furnishing entertainment services for which his controlled corporation was paid sums far greater than it paid him. It is immaterial that Borge had been in the entertainment business long before the formation of the controlled corporation whereas Rubin, although engaged in the textile business for many years, began his services to Dorman concurrently with the formation of Park. It is likewise immaterial that tax avoidance loomed large in Borge’s plan; existence of such a motive is not a prerequisite for application of § 482. Save in this last respect, the case seems a fortiori to Ach, where the taxpayer simply continued to render services to her former dress business whose assets had been acquired by a corporation under common control.
Counsel for the taxpayer asserts that affirmance would necessarily mean that employment for compensation is always a trade or business for purposes of § 482, as we have held it to be for purposes of § 166(d) (2) (A), Trent v. C. I. R.,
Taxpayer’s further contentions do not merit discussion.
Affirmed.
Notes
. The amounts paid were $51,581.68 for 1960 and $33,147.52 for 1961. Against these the Commissioner allowed expenses of Park in the respective sums of $16,-042.56 and $5,659.18. Rubin had reported as income in this context only his salary from Park, $8,750 in 1960 and $6,900 in 1961. The resulting deficiencies were $5,872 for 1960 and $25,304 for 1961.
. The additional income was reduced to $4,400 in 1960 and $23,500 in 1961; the deficiencies were reduced to $3,917.42 and $13,315.42.
