Opinion · United States Tax Court

Brown v. Commissioner

Brown v. Comm’r, 85 T.C. 968 (T.C. 1985)

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1985-12-18
Topic
general

the “reasonable expectation of profit” standard of sec. 108(a) is not applied until the Court determines that the transaction is itself bona fide, i.e., that it is not a sham | the "reasonable expectation of profit" standard of sec. 108(a) is not applied until the Court determines that the transaction is itself bona fide, i.e., that it is not a sham | “Inasmuch as we have found that the program was operated solely to provide tax deductions for its participants, the fees constituted payments to purchase such deductions and as such are, at best, personal expenditures which are not deductible.” | taxpayers challenging assessment of deficiency have burden of proof

Citator

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42 opinions