H Graphics/Access, Ltd. Partnership v. Commissioner

1992 T.C. Memo. 345, 63 T.C.M. 3148, 1992 Tax Ct. Memo LEXIS 367
United States Tax Court·Decided June 15, 1992·No. Docket No. 4298-88.·Unpublished·Cited by 7 cases

Opinion

H GRAPHICS/ACCESS, LTD. PARTNERSHIP, NELSON J. SAPP, JR., A PARTNER OTHER THAN THE TAX MATTERS PARTNER, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
H Graphics/Access, Ltd. Partnership v. Commissioner
Docket No. 4298-88.
United States Tax Court
T.C. Memo 1992-345; 1992 Tax Ct. Memo LEXIS 367; 63 T.C.M. (CCH) 3148;
June 15, 1992, Filed

*367 An appropriate order will be issued.

K, a partner in H Graphics, and R executed a "Settlement Agreement for Partnership Adjustments" (Form 870-P). Sec. 6224(c)(1), I.R.C., provides that a partnership settlement agreement is binding on all parties to the agreement absent fraud, malfeasance, or misrepresentation of fact. Sec. 6224(c)(2), I.R.C., further provides that R must offer consistent settlement terms to any other partner who so requests.

After requests by other H Graphics partners for settlement terms consistent with those in K's settlement agreement, R repudiated the settlement with K contending that it had been procured by fraud, malfeasance, or misrepresentation of fact. Accordingly, R refused to offer consistent settlement terms to the other partners who requested consistent treatment.

Held: In order to establish fraud, malfeasance, or misrepresentation of fact within the meaning of sec. 6224(c), I.R.C., the party making such allegations must prove that the execution of the settlement agreement was induced by intentional and deliberate misstatements or silence calculated to mislead or deceive. R has failed to prove that the settlement agreement with K was procured*368 by fraud, malfeasance, or misrepresentation of fact. Pursuant to sec. 6224(c)(1), I.R.C., the settlement agreement is binding and, under sec. 6224(c)(2), I.R.C., R must offer consistent settlement terms to all other partners who made timely requests for such settlement terms.

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H Graphics/Access, Ltd. Partnership v. Commissioner, 1992 T.C. Memo. 345, 63 T.C.M. 3148, 1992 Tax Ct. Memo LEXIS 367 (tax 1992).

1992 T.C. Memo. 345 (H Graphics/Access, Ltd. Partnership v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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