The Internal Revenue Service (IRS) in the United States has issued demands for back taxes from Alameda Research, FTX, and their affiliates, including West Realm Shires, Blockfolio, and Ledger Holdings. The total amount of the demands is a staggering $44 billion, spread across 45 ...
The Internal Revenue Service (IRS) in the United States has issued demands for back taxes from Alameda Research, FTX, and their affiliates, including West Realm Shires, Blockfolio, and Ledger Holdings. The total amount of the demands is a staggering $44 billion, spread across 45 separate claims.
The insane Alameda Research LLC tax bill circulating is real. The major balances don’t have detail, but in part it appears the IRS went back and reclassified ALL employees from contractors to employees and hit them for unpaid employer-side employment taxes. pic.twitter.com/GuY6czcgMn
According to bankruptcy records, the $20.4 billion claim against Alameda Research LLC primarily consists of around $20 billion in partnership taxes. The remaining portion of the claim includes millions in income taxes and payroll taxes that were withheld.
Also given these numbers I have to assume that they were assessed on the basis that all employees were US based (I cannot imagine they collected W-9s) and none of them paid employment taxes on their income. The BK estate can reduce the bill related to those amounts.
@Meat pointed out that these back taxes are levied at the partnership level because Alameda Research LLC is likely treated as a partnership for tax purposes. Depending on the provisions in the partnership agreement, the assessed taxes may be allocated to the partners.
5/ Yes – under the US bankruptcy code, Uncle Sam has priority over unsecured creditors, which means this massive 20bn tax bill needs to be paid off before any money can even flow from Alameda to FTX Intl.
In other words – we are pretty fucking boned.
— wassielawyer (哇西律师) (@wassielawyer) May 10, 2023
@Wassielawyer mentioned a potential saving grace called the “trust argument.” If this argument holds up in court, it would mean that the assets transferred by clients into FTX were held in trust. In such a scenario, clients could trace their proprietary interest in Alameda’s assets, and the funds provided to Alameda would be seen as a transfer of trust assets rather than a loan.
The tax authority has given these claims administrative priority, meaning they take precedence over the money owed to the exchange’s creditors. As a result, the final implications of this situation will be determined through the ongoing dispute surrounding the outstanding debts owed by FTX.
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