Opinion · United States Tax Court

Cherin v. Commissioner

89 T.C. 986

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1987-11-23
Topic
general

holding that once a transaction is found to be a sham, section 6621(c) interest is imposed regardless of a taxpayer's investment motive | the Tax Court has “never held that the mere presence of an individual’s profit objective will require [it] to recognize for tax purposes a transaction which lacks economic substance” | cattle management operation lacks economic substance, found to be tax-motivated transaction despite showing that underpayment was involuntary or unintentional

Citator

Cited by
59 opinions