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MoneyGram Can't Take an Ordinary Loss on Worthless Securities

(Parker Tax Publishing January 2020)

The Tax Court held that a corporation that provided consumers and financial institutions with payment services was not a bank, as defined in Code Sec. 581, and thus was not entitled to an ordinary loss deduction on its write off of partially or wholly worthless asset-backed securities. According to the court, the corporation did not qualify as a bank because it did not display the essential characteristics of a bank as that term is commonly understood and because a substantial part of its business did not consist of receiving deposits and making loans and discounts. MoneyGram International, Inc. and Subs v. Comm'r, 153 T.C. No. 9 (2019).

MoneyGram International, Inc., is the parent of a group of companies that operate a global payment services business. This business is conducted chiefly through MoneyGram Payment Systems, Inc., a wholly owned subsidiary incorporated in Delaware. MoneyGram has been in business since 1940. Its core purpose is to provide consumers and financial institutions with payment services that are affordable, reliable, and convenient. MoneyGram's business involves the movement of money through three main channels: money transfers, money orders, and payment processing services, including "official check" services for financial institutions.

During 2007 and 2008, MoneyGram undertook a recapitalization that included writing down or writing off a substantial volume of partially or wholly worthless asset-backed securities. MoneyGram claimed ordinary loss deductions under Code Sec. 582 on the disposition of certain of these securities, a treatment available only to banks. The IRS disallowed the ordinary loss deductions on the ground that MoneyGram did not qualify as a "bank" under Code Sec. 581.

To qualify as a "bank" under Code Sec. 581, a taxpayer must meet three distinct requirements. First, it must be "a bank or trust company incorporated and doing business" under federal or state law. Second, a substantial part of its business must consist of receiving deposits and making loans and discounts. Third, it must be subject by law to supervision and examination by federal or state authorities having supervision over banking institutions.

The Tax Court held that, during 2007 and 2008, MoneyGram did not qualify as a "bank" within the meaning of Code Sec. 581 because it did not display the essential characteristics of a bank as that term is commonly understood and because a substantial part of its business did not consist of receiving deposits and making loans and discounts. The court noted that essential elements of a banking business include the placement of funds for safekeeping and the receipt of bank deposits from the general public. The Tax Court concluded that because MoneyGram was not a "bank" within the meaning of Code Sec. 581, it was ineligible to claim ordinary loss deductions on account of the worthlessness of its securities under Code Sec. 582.

Disclaimer: This publication does not, and is not intended to, provide legal, tax or accounting advice, and readers should consult their tax advisors concerning the application of tax laws to their particular situations. This analysis is not tax advice and is not intended or written to be used, and cannot be used, for purposes of avoiding tax penalties that may be imposed on any taxpayer. The information contained herein is general in nature and based on authorities that are subject to change. Parker Tax Publishing guarantees neither the accuracy nor completeness of any information and is not responsible for any errors or omissions, or for results obtained by others as a result of reliance upon such information. Parker Tax Publishing assumes no obligation to inform the reader of any changes in tax laws or other factors that could affect information contained herein.

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