A recent Tax Court decision was reported that may be of interest to individuals potentially dealing with tax litigation. J. Frank Best, Certified Public Accountant and United States Tax Court Practitioner, works to stay current on all IRS decisions concerning tax litigation to ensure we are fully informed and prepared for our clients.
The United States Tax Court, in a summary opinion, held that the former wife of an individual who omitted income from their jointly filed tax return did not qualify for relief under section 6015, including equitable spousal relief under section 6015(f), finding that she had actual knowledge of the omission.
ERIKA G. BARRERA,
Petitioner
v.
COMMISSIONER OF INTERNAL REVENUE,
Respondent