Alpha I, LP v. United States
Petition for certiorari denied on December 9, 2013.
Issue
1) Whether the penalty under 26 U.S.C. § 6662 for an overvaluation misstatement is applicable to any underpayment of tax that may result from adjustments made by the IRS in a notice of Final Partnership Administrative Adjustment ("FPAA") issued to a partnership, when that partnership concedes the adjustments asserted in the FPAA on a ground that is separate from valuation. 2) Whether a court has jurisdiction in a partnership-level proceeding under the Tax Equity and Fiscal Responsibility Act of 1982 ("TEFRA") (i.e., 26 U.S.C. §" 6221"6233) to determine whether a partner"s transfer of his or her partnership interest was a sham, based on the possibility that the trial court might make findings not urged by either party but that would support the court"s jurisdiction.
Recommended Citation: Alpha I, LP v. United States, SCOTUSblog, https://www.scotusblog.com/cases/alpha-i-lp-v-united-states/