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''Selig v. United States'', 740 F.2d 572 (7th Cir. 1984), is a case decided by the
United States Court of Appeals for the Seventh Circuit The United States Court of Appeals for the Seventh Circuit (in case citations, 7th Cir.) is the U.S. federal court with appellate jurisdiction over the courts in the following districts: * Central District of Illinois * Northern District of Il ...
related to the amortization of
intangible property Intangible property, also known as incorporeal property, is something that a Natural person, person or corporation can have Ownership, ownership of and can transfer ownership to another person or corporation, but has no Tangibility, physical subs ...
. Conceptually, amortization is a mechanism that allows taxpayers to recover the cost of property over the life of an asset when they are precluded from taking an immediate and full deduction. Practically, this means that taxpayers may recover the cost in small amounts over time. There are two forms of such recovery: depreciation and amortization. ''Selig'' deals with amortization. The general rule for
amortization Amortization or amortisation may refer to: * The process by which loan principal decreases over the life of an amortizing loan * Amortization (accounting), the expensing of acquisition cost minus the residual value of intangible assets in a system ...
is set forth in Section 197 of the
Internal Revenue Code The Internal Revenue Code (IRC), formally the Internal Revenue Code of 1986, is the domestic portion of federal statutory tax law in the United States, published in various volumes of the United States Statutes at Large, and separately as Title 26 ...
. The ''Selig'' case demonstrates some of the practical problems in cost allocation prior to the enactment of Section 197.


Facts of case

Bud Selig Allan Huber "Bud" Selig (; born July 30, 1934) is an American baseball executive who currently serves as the Commissioner Emeritus of Baseball. Previously, he served as the ninth Commissioner of Baseball from 1998 to 2015. He initially served as ...
was part of an effort to bring a new
baseball Baseball is a bat-and-ball sport played between two teams of nine players each, taking turns batting and fielding. The game occurs over the course of several plays, with each play generally beginning when a player on the fielding tea ...
franchise to
Wisconsin Wisconsin () is a state in the upper Midwestern United States. Wisconsin is the 25th-largest state by total area and the 20th-most populous. It is bordered by Minnesota to the west, Iowa to the southwest, Illinois to the south, Lake M ...
. As part-owner of the
Milwaukee Brewers The Milwaukee Brewers are an American professional baseball team based in Milwaukee. They compete in Major League Baseball (MLB) as a member club of the National League (NL) National League Central, Central division. The Brewers are named for t ...
, Selig negotiated to purchase an
American League The American League of Professional Baseball Clubs, known simply as the American League (AL), is one of two leagues that make up Major League Baseball (MLB) in the United States and Canada. It developed from the Western League, a minor league ...
team that was in financial difficulty, the
Seattle Pilots The Seattle Pilots were an American professional baseball, professional baseball team based in Seattle, Washington (state), Washington during the 1969 Major League Baseball season. During their single-season existence, the Pilots played their ho ...
. The deal was contingent upon the team moving from
Seattle Seattle ( ) is a seaport city on the West Coast of the United States. It is the seat of King County, Washington. With a 2020 population of 737,015, it is the largest city in both the state of Washington and the Pacific Northwest regio ...
to
Milwaukee Milwaukee ( ), officially the City of Milwaukee, is both the most populous and most densely populated city in the U.S. state of Wisconsin and the county seat of Milwaukee County. With a population of 577,222 at the 2020 census, Milwaukee is ...
and payment of the purchase price, $10.8 million. The contract allocated the $10.8 million to equipment and supplies, league membership, and player contracts (representing $10.2 million of the $10.8 million). The Brewers' financial officer decided to retain the $10.2 million allocation. Selig then amortized that cost over the players' five-year useful lives under Section 167(a) of the
Internal Revenue Code The Internal Revenue Code (IRC), formally the Internal Revenue Code of 1986, is the domestic portion of federal statutory tax law in the United States, published in various volumes of the United States Statutes at Large, and separately as Title 26 ...
. The IRS disallowed the entire $10.2 million allocation, arguing that the players' contracts had zero value. Selig paid the deficiency amount assessed by the IRS, but subsequently filed a lawsuit.


Issue

The key issue in this case was whether there was proper allocation of the purchase price to the franchise and the cost of the player contracts.


Procedural history

The district court held that Selig properly allocated $10.2 million of the $10.8 million purchase price of the
Seattle Pilots The Seattle Pilots were an American professional baseball, professional baseball team based in Seattle, Washington (state), Washington during the 1969 Major League Baseball season. During their single-season existence, the Pilots played their ho ...
to the value of the 149 players that he bought. On appeal, the government argued that the $10.2 million allocation was "contrary to common sense."Federal Income Taxation of Individuals: Cases, Problems, & Materials. 2nd Edition. by Samuel A. Donaldson, p.282 The government focused on the specific value of the allocation (i.e. $10.2 million) by attempting to prove that the players were not "worth" $10.2 million.


Holding

The players' contracts were properly valued as a whole (rather than combining individual contract values), and the franchise was not worth more than the purchase price.


Reasoning

At the time of the sale,
Milwaukee Milwaukee ( ), officially the City of Milwaukee, is both the most populous and most densely populated city in the U.S. state of Wisconsin and the county seat of Milwaukee County. With a population of 577,222 at the 2020 census, Milwaukee is ...
was not a commercially successful
baseball Baseball is a bat-and-ball sport played between two teams of nine players each, taking turns batting and fielding. The game occurs over the course of several plays, with each play generally beginning when a player on the fielding tea ...
climate. As such, a baseball franchise in Milwaukee was not as valuable as franchises located elsewhere. For this reason, the court determined that the Pilots' franchise was not worth more than Selig claimed. Rather, the key inquiry was the value attributed to the players. The purchase price of the club itself required allocating that price among all of the club's assets (e.g., equipment, players, league fees), not simply assigning a dollar value to each player (as in the free agent market). This transaction was essentially the bulk purchase of all of the Pilots' players in an arms-length transaction with no restrictions. Because this sort of bulk sale was the reality of the "club" market, the players should be valued in accordance with the market's nature.


After the case

Congress enacted Section 197 of the Internal Revenue Code to clarify disputes and provide rules for amortization (i.e. cost recovery for intangible assets).


References

{{DEFAULTSORT:Selig V. United States United States taxation and revenue case law United States Court of Appeals for the Seventh Circuit cases 1984 in United States case law