John Bedrosian, et al v. CIR

Track this case

Case Number:

18-70066

Court:

Appellate - 9th Circuit

Nature of Suit:

tax court 

  1. November 13, 2019

    9th Circ. Won't Reconsider Challenge To $17.5M IRS Adjustment

    The Ninth Circuit said Wednesday it won't reconsider a couple's challenge to the Internal Revenue Service's disallowance of $17.5 million in losses from a Son-of-Boss tax shelter.

  2. October 22, 2019

    Full 9th Circ. Urged To Revisit $17M Tax Shelter Loss Row

    The entire Ninth Circuit should reconsider a panel's denial of a couple's appeal over missing the deadline to challenge a $17.5 million partnership adjustment, since the court allowed an untimely appeal in another case, the couple recently told the court.

  3. October 08, 2019

    Couple Can't Nix $17M Tax Shelter Adjustment, 9th Circ. Says

    A married couple missed their opportunity to challenge the IRS' disallowance of $17.5 million in losses from a Son-of-Boss tax shelter because they should have disputed the adjustment at the partnership level, the Ninth Circuit said Tuesday.

  4. June 22, 2018

    9th Circ. Should Dismiss $17.5M Tax Shelter Claim, IRS Says

    The Ninth Circuit should dismiss an action filed by a partnership that allegedly set up a $17.5 million Son-of-Boss tax shelter because it challenged a notice of deficiency and was filed before the conclusion of partnership determinations, the Internal Revenue Service said in a brief filed Friday.