IRS loses landmark Boulware case
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- Infidel Enslaver
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IRS loses landmark Boulware case
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"The real George Washington was shot dead fairly early in the Revolution." ~ David Merrill, 9-17-2004 --- "This is where I belong" ~ Heidi Guedel, 7-1-2006 (referring to suijuris.net)
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"The real George Washington was shot dead fairly early in the Revolution." ~ David Merrill, 9-17-2004 --- "This is where I belong" ~ Heidi Guedel, 7-1-2006 (referring to suijuris.net)
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- Enchanted Consultant of the Red Stapler
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Re: IRS loses landmark Boulware case
Very interesting. I rather thought it would go the other way.Joey Smith wrote:http://www.law.cornell.edu/supct/html/06-1509.ZO.html
"Some people are like Slinkies ... not really good for anything, but you can't help smiling when you see one tumble down the stairs" - Unknown
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- J.D., Miskatonic University School of Crickets
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Re: IRS loses landmark Boulware case
I am not surprised a bit. It is well-settled that the Government has to prove a deficiency in an evasion case. If you take money out of your corporation in a year when it earned no profits, you are withdrawing your own capital, which is nontaxable. That the taxpayer didn't act like he was taking his own capital out goes to willfulness, not to the existence of a deficiency.
In most of these cases, the corporation almost certainly did earn a profit; all that the 9th Circuit's stupid Miller rule did was make the IRS lazy about proving that fact. Going forward, I doubt they lose many cases on this ground.
In most of these cases, the corporation almost certainly did earn a profit; all that the 9th Circuit's stupid Miller rule did was make the IRS lazy about proving that fact. Going forward, I doubt they lose many cases on this ground.
Dr. Caligari
(Du musst Caligari werden!)
(Du musst Caligari werden!)
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Re: IRS loses landmark Boulware case
The fact that Boulware wasn't the sole shareholder is critical, and it would seem that the diversions amounted to embezzlement, not Section 301 distributions.
"Run get the pitcher, get the baby some beer." Rev. Gary Davis
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- J.D., Miskatonic University School of Crickets
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Re: IRS loses landmark Boulware case
...an issue which, as I read the Supreme Court's decision, may be open on remand. It may turn on whether the government properly alleged that in the indictment. In any event, as I said above, this will probably not be a big issue in future cases; the Government will just need to ask its computational witness the right questions.
Dr. Caligari
(Du musst Caligari werden!)
(Du musst Caligari werden!)
Re: IRS loses landmark Boulware case
I follow the rule-of-thumb that says the eventual loser fares poorly at oral argument. After reading the transcript, I thought it was clear that the government would lose. The more interesting angle is the "right to tax avoidance" referenced at taxprof. http://taxprof.typepad.com/taxprof_blog ... urt-1.htmlImalawman wrote:Very interesting. I rather thought it would go the other way.Joey Smith wrote:http://www.law.cornell.edu/supct/html/06-1509.ZO.html
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Re: IRS loses landmark Boulware case
Avoidance is the soul of the committee's intent.
The Honorable Judge Roy Bean
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