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BUSH MAY HAVE EVADED TAXES ON SALE OF BASEBALL TEAM

By the Anonymous CPA

Published August 19, 2002

A review of George W. Bush�s 1998 tax return reveals that he reported the sale of his 
share
of the Texas Rangers baseball team as a long term capital gain. As a result, he paid a 
tax
on the more than $15 million proceeds at a tax rate of 20%, as opposed to the 39.6% 
rate
on ordinary income. According to a press release dated June 18, 1998 from the Dallas
Morning News, Bush paid $606,000 for about 1.8% of the team and became the managing
general partner of B/R Rangers Associates, Ltd., a limited partnership that owned the 
team.
Under the terms of the agreement, Mr. Bush was given an additional 10.2% of the 
proceeds
as additional compensation if the team was sold. The incentive compensation became
effective if the other partners received their entire investment back plus a 2% return 
per
year.

The team was purchased for $86 million in 1989 and sold in 1998 for $250 million to Tom
Hicks, a person with whom Bush had prior official business while governor. As reported 
by
Tom Kruger in his July 16, 2002 article, Tom Hicks had a relationship with Mr. Bush 
that
afforded Hicks the opportunity to use $9 billion of the University of Texas endowment 
fund
without any accountability. The management fee to Hicks for investing the $9 billion 
could
have exceeded the $350 million he paid for the Texas Rangers. In effect, Bush handed 
Hicks
the money to buy the team as part of his official duties as governor.

In addition, the team received funding for the new stadium built by the City of 
Arlington.
More than $150 million was funded by the City of Arlington with a new sales tax 
imposed on
its citizens. The team leased the stadium from a development corporation that was 
exempt
from any school district tax. The tax exemption directly reduced the lease cost to the 
team
by a substantial amount. In addition, as governor, Mr. Bush supported legislation that 
would
have reduced the team�s school tax by $920,000 if the team exercised its option to
purchase the stadium. Furthermore, this proposed tax reduction would have benefited 
Bush
in another entity in which he had an equity interest with some of the partners of the 
Texas
Rangers.

As reported in the Houston Chronicle on April 22, 1997, �The tax reform bill supported 
by
Gov. George W. Bush would have saved at least $2.5 million in school property tax for a
company founded by Bush�s billionaire business partner and top campaign contributor,
Richard Rainwater of Fort Worth.� Mr. Rainwater headed a public company that was a real
estate investment trust traded on the New York Stock Exchange. Bush himself had 4,222
shares of this stock when he proposed the tax reduction that would have benefited this
company, Crescent Real Estate Equities, by more than $2.5 million. This same company
owned psychiatric hospitals throughout the country that were closed down because of
scandalous and fraudulent activities as reported by 60 Minutes and various 
publications, all
before the presidential election of 2000.

As if that was not enough, Bush�s policies as governor further benefited Crescent by:
1.     Allowing it to receive an extra $10 million stadium tax for a sports stadium 
used by the
Dallas Mavericks
2.     The State of Texas sold three office blocks belonging to the teachers� 
retirement
fund�to Crescent�the sale of one block costing the pension fund system $44 million.
3.     The trust fund for the Texas University Public School invested $20 million in 
Crescent
during Bush�s first term as governor.

Mr. Bush sold his interest in Crescent through his �blind trust,� the Lone Star Trust. 
Lone
Star�s trustee was Mr. Bush�s personal CPA, Robert A. McClesky. Bush�s shares in 
Crescent
were sold at its peak of $40/share, yielding him proceeds of $168,800. Shortly after 
the
sale, Crescent�s stock plunged to $21/share.

Besides the Harken transaction previously reported, Bush has had an excellent record in
investing in rapidly appreciating assets. Prior to Harken, he had a rather miserable 
record
of success. However, it is clear that his success was based upon more than normal 
market
appreciation. His political influence before and after he became governor substantially
contributed to his personal wealth. The question now rises as to whether this political
influence reaches the level of public corruption.

Returning to the sale of the Texas Rangers, it is clear that Mr. Bush earned his 
additional
10% of the team by adding considerable value to the team because of his political
influence.  Incentive clauses such as the one granted to Bush are common for managing
partners adding value to their partnerships; however, such incentive clauses exercised 
on
behalf of a sitting governor, even if he was not governor when the agreement was 
written,
raises some serious tax questions in addition to the question of public policy 
conflicts of
interest.

According to IRS Revenue Procedure 93-27, ��The receipt of a partnership capital 
interest
for services provided to or for the benefit of the partnership is taxable as 
compensation.� As
most people know, compensation is taxed as ordinary income, subject to the highest tax
rates; in this case 39.6%. Mr. Bush treated the incentive portion of his proceeds as 
long
term capital gain, and accordingly reduced his tax liability by at least $2.4 million. 
Mr. Bush
may defend this aggressive tax position by pointing to aggressive planning by his
accountants and lawyers. This by itself may be subject to dispute, and even though it 
is
likely that the IRS would treat this incentive payment as ordinary income, Bush could
possibly look to his accountants and lawyers as a defense. However, there is a further
problem. It involves Otto Kerner, governor of Illinois from 1961 to 1968.

In 1972, Gov. Kerner was convicted of income tax fraud for influencing public policy 
that
benefited his holdings in a race track corporation. On the advice of his accountants, 
Gov.
Kerner treated the proceeds ($180,000) of his race track stock as long term capital 
gain
subject to the reduced tax. The U.S. Attorney, James Thompson, prosecuted Gov. Kerner
for falsely treating these proceeds as a capital gain because Gov. Kerner�s public 
policies
had a substantial effect on the appreciation of the stock. Gov. Kerner was a Democrat, 
and
Mr. Thompson was appointed U.S. Attorney by President Nixon. Thompson later became
governor of Illinois.

According to an IRS agent who worked on the Kerner case, the government�s theory was
based on the idea that a true capital gain is based on the assumption that natural 
market
forces enhance the value of the property sold. Natural market forces can include the
legitimate contributions of managing partners. However, the government concluded, and
the jury affirmed, the fact that people in official policy positions who enhance the 
value of
their own property in whole or in part are guilty of a corrupt practice, and 
accordingly the
gain is not capital gain. This is consistent with the theory behind giving tax 
incentives only
for legitimate capital appreciation.

It is clear that former Gov. Bush had a clear incentive to affect public policy for 
his own
benefit. In the Kerner case, Gov. Kerner was already a wealthy man, and the proceeds he
received were not significant in relation to his net worth. In the case of former Gov. 
Bush,
the at least $12 million incentive he received was the bulk of his liquid assets.

Many of the citizens of Illinois who supported Gov. Kerner were upset about this 
decision,
according to the IRS agent involved. Gov. Kerner was not an active businessman, and 
many
people have doubts that he would have directly affected public policy because of a 
relatively
small holding he had in the race track company. Nevertheless, the jury held him to a 
higher
standard because he was in a powerful public position. According to the IRS agent, if 
Gov.
Kerner was convicted of tax fraud for his behavior relative to a passive holding of 
stock, Mr.
Bush, as an active managing partner of the Texas Rangers, should at least be held to 
the
same standard.

The question is, when will people say enough is enough. All these business and tax
practices cannot be based on innocent coincidences.
~~~~~~~~~~~~~~~
A<>E<>R
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Forwarded as information only; I don't believe everything I read or send
(but that doesn't stop me from considering it; obviously SOMEBODY thinks it's 
important)
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In accordance with Title 17 U.S.C. section 107, this material is distributed without 
charge or
profit to those who have expressed a prior interest in receiving this type of 
information for
non-profit research and educational purposes only.
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"Always do sober what you said you'd do drunk. That will teach you to keep your mouth
shut."
--- Ernest Hemingway

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