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(1) whether the sale of the property in question generated capital gain or ordinary income for Fargo and King. We hold that the sale generated ordinary income; [*3] (2) whether GDLP's reported basis in the property at issue must be reduced. We hold that the basis must be reduced in part; (3) whether payments totaling $1,306,000 made by Ms. King's wholly owned S corporation, Girard Management Corp. (GMC), are ordinary and necessary expenses. We hold that they are not; (4) whether GMC's payments are distributions to Ms. King. We hold that they are not; (5) whether Fargo and King are entitled to the full amount of a net operating loss carryforward. We hold that they are not; (6) whether Fargo and King are entitled to deduct additional home mortgage interest. We hold that they are not; (7) whether Fargo and King are entitled to a deduction for investment interest. We hold that they are not; and (8) whether Fargo and King are liable for an accuracy-related penalty under section 6662. We hold that they are.
for a taxpayer to rely reasonably upon advice so as possibly to negate a section 6662(a) accuracy-related penalty determined by the Commissioner, the taxpayer must prove * * * that the taxpayer meets each requirement of the following three-prong test: (1) The adviser was a competent professional who had sufficient expertise to justify reliance, (2) the taxpayer provided necessary and accurate information to the adviser, and (3) the taxpayer actually relied in good faith on the adviser's judgment.
Easement Deduction Denied
Bargain Sale Deduction Valid
Penalty Upheld With Zero Value Conservation Easement
Annual Exclusions Survive “In Terrorem” Clause
Clothing and Household Goods Charitable Deductions Denied
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