Opinion · United States Tax Court

White v. Commissioner

95 T.C. 209

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1990-08-30
Topic
bankruptcy

holding that underpayment interest is excluded from the definition of a "deficiency" in section 6211 | stating that “[sjection 6621(c)(1) increases the rate of interest payable under section 6601” yet the “[ajdditional interest is the ‘interest’ prescribed under section 6601” | describing the “[ajdditional interest” of section 6621(c)(1) as “the ‘interest’ prescribed under section 6601”

Citator

Cited by
54 opinions