Del-Co Western v. Comm'r

2013 U.S. Tax Ct. LEXIS 47
United States Tax Court·Decided February 14, 2013·No. Docket No. 13417-11·Unpublished·Cited by 1 cases

Opinion

DEL-CO WESTERN, A UTAH CORPORATION, Petitioner, v. COMMISSIONER OF INTERNAL REVENUE, Respondent.
Del-Co Western v. Comm'r
Docket No. 13417-11
United States Tax Court
2013 U.S. Tax Ct. LEXIS 47;
February 14, 2013, Entered
*47 For Petitioner: PAUL W. JONES, Salt Lake City, Utah.
For WILLIAM J. WILKINS, Chief Counsel, Internal Revenue Service; S. MARK BARNES, Attorney, Small Business/Self-Employed, Salt Lake City, UT.
Kathleen Kerrigan, Judge.

Kathleen Kerrigan
DECISION

Pursuant to the agreement of the parties in this case, it is

ORDERED AND DECIDED: That there is a deficiency in income tax due from petitioner for the taxable year 2004 in the amount of $70,021.00;

That there is a penalty due from petitioner for the taxable year 2004, under the provisions of I.R.C. § 6663(a), in the amount of $41,101.50; and

That there is a penalty due from petitioner for the taxable year 2004, under the provisions of I.R.C. § 6662(a), in the amount of $3,043.80.

(Signed) Kathleen Kerrigan

Judge

Entered: FEB 14 2013

It is hereby stipulated that the Court may enter the foregoing decision in this case.

It is further stipulated that interest will accrue and be assessed as provided by law on the deficiency and penalties due from petitioner.

It is further stipulated that, effective upon the entry of this decision by the Court, petitioner waives the restrictions contained in I.R.C. § 6213(a) prohibiting assessment and collection of the deficiency and penalties (plus statutory interest) until*48 the decision of the Tax Court becomes final.

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