Mark Friedman - Page 25

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          regulations.  Section 6653(a)(2) imposes an addition to tax equal           
          to 50 percent of the interest payable with respect to the portion           
          of the underpayment attributable to negligence or intentional               
          disregard of rules or regulations.                                          
               Negligence is defined as the failure to exercise the due               
          care that a reasonable and ordinarily prudent person would employ           
          under the circumstances.  Neely v. Commissioner, 85 T.C. 934, 947           
          (1985).  The question is whether a particular taxpayer's actions            
          in connection with the transactions were reasonable in light of             
          his experience and the nature of the investment or business.  See           
          Henry Schwartz Corp. v. Commissioner, 60 T.C. 728, 740 (1973).              
          When considering the negligence addition to tax, we evaluate the            
          particular facts of each case, judging the relative                         
          sophistication of the taxpayers, as well as the manner in which             
          they approached their investment.  McPike v. Commissioner, T.C.             
          Memo. 1996-46.  Compare Spears v. Commissioner, T.C. Memo. 1996-            
          341 with Zidanich v. Commissioner, T.C. Memo. 1995-382.                     
               Petitioners argue that they were reasonable in claiming                
          deductions and credits with respect to the Partnerships.  They              
          maintain that they carefully read the respective offering                   
          memoranda, expected an economic profit in light of the so-called            
          oil crisis in the United States in 1981, and that they reasonably           









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