On September 7, the Sixth Circuit Court of Appeals issued a decision (United States v. Quality Stores, Inc.) holding that certain severance payments are not "wages" subject to Federal Insurance Contributions Act (FICA) tax, and upheld a bankruptcy court’s decision ordering a full refund of more than $1 million of FICA taxes paid by an employer with respect to severance payments it made to employees whose positions were eliminated in connection with the bankruptcy.
USA, Employment & Labor, Insolvency & Restructuring, Insurance, Litigation, Tax, Bass Berry & Sims PLC, Wage, Federal Insurance Contributions Act tax, Severance package, Sixth Circuit