Federated Graphics Cos. v. Commissioner

1992 T.C. Memo. 347, 63 T.C.M. 3153, 1992 Tax Ct. Memo LEXIS 368, 15 Employee Benefits Cas. (BNA) 2963
United States Tax Court·Decided June 16, 1992·No. Docket Nos. 5336-89, 5793-90·Unpublished

Opinion

FEDERATED GRAPHICS COMPANIES, INC., Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent; HERBERT SCHARER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Federated Graphics Cos. v. Commissioner
Docket Nos. 5336-89, 5793-90
United States Tax Court
T.C. Memo 1992-347; 1992 Tax Ct. Memo LEXIS 368; 63 T.C.M. (CCH) 3153; 15 Employee Benefits Cas. (BNA) 2963;
June 16, 1992, Filed

*368 Decision will be entered under Rule 155.

Petitioner Herbert Sharer effectively controlled petitioner Federated Graphics Companies, Inc., and Federated's pension plan. Scharer caused those entities to issue two sets of checks: (1) A series of checks drawn on Federated's bank accounts and issued to or on behalf of a third party, which checks petitioners claim represent loans by Federated to the third party, and (2) a series of checks drawn on the pension plan's bank account, which petitioners claim were to make pension plan investments and which respondent claims were distributions to Scharer.

(1) Held: R did not err in disallowing Federated's bad debt deduction.

(2) Held, further: R erred in determining that Federated is liable for additions to tax for fraud under sec. 6653(b)(1) and ( 2), I.R.C., and, alternatively, for additions to tax for negligence under sec. 6653(a)(1) and ( 2), I.R.C.

(3) Held, further: R did not err in determining that Federated is liable for an addition to tax for substantial understatement under sec. 6661, I.R.C.

(4) Held, further: R erred in determining that petitioner Herbert Scharer had additional income on account of forgiveness*369 of indebtedness or a constructive dividend.

(5) Held, further: R did not err in determining that Scharer had additional income on account of distributions under Federated's pension plan.

(6) Held, further: R did not err in determining that Scharer is liable for additions to tax under secs. 6653(a)(1) and (2) and 6661, I.R.C.

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Federated Graphics Cos. v. Commissioner, 1992 T.C. Memo. 347, 63 T.C.M. 3153, 1992 Tax Ct. Memo LEXIS 368, 15 Employee Benefits Cas. (BNA) 2963 (tax 1992).

1992 T.C. Memo. 347 (Federated Graphics Cos. v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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