Para Technologies Trust v. Commissioner

1994 T.C. Memo. 366, 68 T.C.M. 294, 1994 Tax Ct. Memo LEXIS 378
Procedural entryThis page is a short order in Para Technologies Trust v. Commissioner. Read the opinion of the Court — 64 T.C.M. 922
United States Tax Court·Decided August 2, 1994·No. Docket Nos. 12089-91, 12242-91·Unpublished

Opinion

PARA TECHNOLOGIES TRUST, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent; TOM ANDERSON, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Para Technologies Trust v. Commissioner
Docket Nos. 12089-91, 12242-91
United States Tax Court
T.C. Memo 1994-366; 1994 Tax Ct. Memo LEXIS 378; 68 T.C.M. (CCH) 294;
August 2, 1994, Filed

*378 Decision will be entered for petitioner in docket No. 12089-91. Decision will be entered under Rule 155 in docket No. 12242-91.

For petitioners: Joe Alfred Izen, Jr., 1Helena C. Papadopoulos, and Michael Louis Minns.
For respondent: Paul B. Burns and Maria D. Murphy.
JACOBS

JACOBS

MEMORANDUM FINDINGS OF FACT AND OPINION

JACOBS, Judge: Respondent determined the following deficiencies in, and additions to, petitioners' Federal income tax:

Para Technologies Trust:

Additions to Tax
YearDeficiencySec. 6653(b)Sec. 6661
1987$ 103,4501 $ 77,588$ 25,862
198874,25355,69018,563

Tom Anderson:

Additions to Tax 
YearDeficiencySec. 6653(a)Sec. 6653(b)Sec. 6661
1987$ 109,7551 $ 5,488 $ 82,316$ 27,439
198871,7203,58653,79017,930

*379 All section references are to the Internal Revenue Code in effect for the years in issue. All Rule references are to the Tax Court Rules of Practice and Procedure.

On brief, respondent concedes that no deficiencies in income tax, or additions to tax, are due from Para Technologies Trust (Para Tech). After this and other concessions, the issues remaining for decision are: (1) Whether Para Tech should be respected as a distinct taxable entity for Federal income tax purposes, and if it is to be so respected, then (2) whether the income received by Para Tech is taxable to Tom Anderson (Anderson) under the grantor trust provisions of sections 671 through 679; (3) whether Anderson is liable for additions to tax for fraud pursuant to section 6653(b); or, alternatively, whether he is liable for additions to tax for negligence pursuant to section 6653(a); and (4) whether Anderson is liable for additions to tax for substantial understatement of income tax pursuant to section 6661.

FINDINGS OF FACT

Some of the facts have been stipulated and are found accordingly. The stipulation of facts and attached exhibits are incorporated herein by this reference.

Para Tech had its principal place*380 of business in California, and Anderson resided in Santa Monica, California, at the time they filed their petitions.

I. Nassau Life Insurance Co., Ltd. and Joe Alfred Izen, Jr.

Nassau Life Insurance Co., Ltd. (Nassau Life) promoted the use of domestic and foreign entities to shelter U.S. business and investment income from Federal income taxation. Nassau Life engaged in this activity through representatives known as information officers and through the dissemination of printed materials. Joe Alfred Izen, Jr. (Izen) was counsel to Nassau Life during both years in issue. In the course of that representation, among other services, he prepared and issued two opinion letters that related to the multiple-entity tax shelter promoted by Nassau Life.

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Para Technologies Trust v. Commissioner, 1994 T.C. Memo. 366, 68 T.C.M. 294, 1994 Tax Ct. Memo LEXIS 378 (tax 1994).

1994 T.C. Memo. 366 (Para Technologies Trust v. Commissioner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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