IRS' $35.5M Loss Adjustment Not Time-Barred, 9th Circ. Told

By Theresa Schliep · March 5, 2021, 4:55 PM EST

A partnership's failure to file a tax return for 2001 enabled the IRS to disallow a $35.5 million loss deduction the business claimed for that year roughly a decade later, the...

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Case Information

Case Title

Seaview Trading, LLC, AGK Inve v. CIR

Case Number

20-72416

Court

Appellate - 9th Circuit

Nature of Suit

Date Filed

August 13, 2020