Sep 18, 2017


This paper concentrates on the primary theme of DURING 2014, THE HILLS WERE EMPLOYED BY HOGWARTS STATE UNIVERSITY. DR. HILL TAUGHT MATH AND… in which you have to explain and evaluate its intricate aspects in detail. In addition to this, this paper has been reviewed and purchased by most of the students hence; it has been rated 4.8 points on the scale of 5 points. Besides, the price of this paper starts from £ 40. For more details and full access to the paper, please refer to the site.

During 2014, the Hills were employed by Hogwarts State University. Dr. Hill taught math and communications classes as an adjunct professor, and Mrs. Hill was employed as a campus librarian.

Dr. Hill is highly educated—he holds a doctorate in communication. As he explained to you, individuals holding such terminal degrees bear a lifelong burden of “developing knowledge, finding knowledge, exploring, [and] essentially self-educating”.

Dr. Hill is seeking a new tax preparer, doing some comparison shopping, and has come to you with the following unreimbursed employee business expenses:

Home Internet expenses of $945 because the Internet access contributed to increasing his “general knowledge” and that Mrs. Hill was ill and required the use of the Internet to work from home.

Cellular phone expenses of $2,288, they have copies of their statements showing the paid the expenses.

Computer equipment expenses of $1,719 which Dr. Hill claims is necessary for their jobs as education and library professionals.

Professional library consisting of books, CDs, and DVDs at a cost of $1,956 which according to Dr. Hill are expenses ordinary and necessary to their jobs because they must expand their “general knowledge”.

DirecTV subscription expenses of $2,258.87 which was necessary to expand their general knowledge.

Dr. Hill wants your opinion on these unreimbursed employee expenses to help him decide which tax preparer engage.

I need one page research this situation as a Memo to client based on the following tax research information:

Section 162



280 F

Fessey v. Commissioner, T.C. Memo. 2010-191

Pistoresi v. Commissioner, 24 T.C. Memo.1999-39

Tanzi v. Commissioner, T.C. Memo.

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