Logan Trust v. Commissioner

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This appeal involves a Son of BOSS tax shelter, which abuses the partnership form of doing business by “employ[ing] a series of transactions to create artificial financial losses that are used to offset real financial gains, thereby reducing tax liability.” At issue was whether and when the Tax Court may apply a penalty to a taxpayer who underpays his taxes by participating in a partnership that was nothing more than an intricate tax shelter. In this case, the parties recognize that United States v. Woods answered the questions about the Tax Court’s jurisdiction over penalties and outside basis. Taxpayer concedes rightly that the Tax Court properly applied his penalty when that court conducted its review of the partnership and its items, and the court affirmed the Tax Court on this point. In turn, the IRS acknowledges correctly that the Tax Court lacked jurisdiction to determine that the Tigers Eye partners had no basis in the partnership, and the court reversed the portion of the Tax Court’s decision that did so. The court remanded for further proceedings. View "Logan Trust v. Commissioner" on Justia Law