Skip to main content

Alpha I, LP v. United States

Certiorari Denied

Petition for certiorari denied on December 9, 2013.

Docket No.12-550

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.

Proceedings & orders timeline

Nov 1, 2012
Petition for a writ of certiorari filed. (Response due December 3, 2012)
Nov 28, 2012
Order extending time to file response to petition to and including January 2, 2013.
Jan 2, 2013
Brief of respondent United States in opposition filed.
Jan 14, 2013
Reply of petitioners Alpha I, L.P., et al. filed.
Jan 16, 2013
DISTRIBUTED for Conference of February 15, 2013.
Feb 20, 2013
DISTRIBUTED for Conference of March 15, 2013.
Mar 18, 2013
DISTRIBUTED for Conference of March 22, 2013.
Dec 3, 2013
DISTRIBUTED for Conference of December 6, 2013.
Dec 9, 2013
Petition DENIED.

Welcome to SCOTUSblog

Tell us a bit about yourself so we can tailor what you see. You can update these any time in your account.