Opinion · United States Tax Court

Ewing v. Commissioner

118 T.C. 494

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
2002-05-31
Topic
bankruptcy

holding that the Court had jurisdiction over the requesting spouse's claim for equitable relief pursuant to section 6015(f) regarding the underpayment of tax shown on the joint return | holding the Court has jurisdiction to determine whether equitable relief is available to a taxpayer for underpayment of tax shown on a joint return | holding the Court has jurisdiction to determine whether equitable relief is available to a taxpayer for underpayment of tax shown on a joint return | holding the Court has jurisdiction to determine whether equitable relief is available to a taxpayer for underpayment of tax shown on a joint return | “Because [the Commissioner] has not challenged the tax reported on the return, no deficiency has been asserted.” | “Because [the Com- missioner] has not challenged the tax reported on the return, no deficiency has been asserted.”

Citator

Cited by
74 opinions