Settlement doesn't legitimize sham.The U.S. District Court of New Hampshire ruled New Hamp·shire rule n. An 1871 US rule used as a test of criminal responsibility and stating that criminal intent is not involved if the criminal act was due to insanity. that a taxpayer couldn't claim losses stemming from partnerships' transactions that lacked economic substance, even though a settlement with the IRS An abbreviation for the Internal Revenue Service, a federal agency charged with the responsibility of administering and enforcing internal revenue laws. had allowed some of their claims. Richard Nault invested in several agricultural limited partnerships between 1984 and 1986 that reported significant losses the first year and small amounts of income subsequently In 1987, the IRS audited the partnerships and rejected the losses. In 2001, the partnerships and IRS settled the case, disallowing 72% of the losses as lacking economic substance but permitting the partnerships to retain investment tax credits. The IRS also adjusted Nault's returns for the three years, and he paid additional taxes. Meanwhile, the partnerships terminated as a result of the controversy. In 2002, Nault fled amended returns for six years claiming ordinary loss deductions under section 165 by "restoring" his basis in the partnerships based on the disallowed losses and the partnership interests having become worthless. The IRS denied Nault's refund claims, saying since the partnerships' settlement had conceded that the transactions had lacked economic substance, Nault was not entitled to a loss deduction stemming from them. The taxpayer countered that since the partnerships had been allowed to keep the investment credit and he had to pay tax on some income, there was the requisite profit motive. In rejecting Nault's argument, the district court also noted that results of unified partnership audit procedures under the Tax Equity and Fiscal Responsibility Act could not be litigated at the partner level. * Richard M. Nault v. U.S., 99 AFTR AFTR American Federal Tax Reports (Prentice-Hall) AFTR Americans For Tax Reform AFTR Air Force Training Ribbon AFTR Air Force Training Record AFTR atrophy, fasciculation, tremor, rigidity AFTR Atomic Frequency Time Reference 2d 2007-1027. Prepared by Edward J. Schnee, CPA (Computer Press Association, Landing, NJ) An earlier membership organization founded in 1983 that promoted excellence in computer journalism. Its annual awards honored outstanding examples in print, broadcast and electronic media. The CPA disbanded in 2000. , Ph.D., Hugh Culverhouse Professor of Accountancy and director, MTA (1) (Message Transfer Agent or Mail Transfer Agent) The store and forward part of a messaging system. See messaging system. (2) See M Technology Association. 1. (messaging) MTA - Message Transfer Agent. Program, Culverhouse School of Accountancy, University of Alabama The University of Alabama (also known as Alabama, UA or colloquially as 'Bama) is a public coeducational university located in Tuscaloosa, Alabama, USA. Founded in 1831, UA is the flagship campus of the University of Alabama System. , Tuscaloosa. |
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