Opinion · United States Tax Court

Minahan v. Commissioner

88 T.C. 492

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1987-03-05
Topic
general

stating that failure to meet any of the requirements of section 7430 precludes an award of costs | IRS’s “assertion that the litigation position was reasonable solely because valuation is a factual inquiry and that the valuation herein was based on an expert appraisal is woefully inadequate to establish that his position is reasonable” | “[D]enial of a section 7430 motion is reviewed for abuse of discretion.”

Citator

Cited by
109 opinions