Eliane Olson - Page 7

                                        - 7 -                                         

          item.  White v. Commissioner, 95 T.C. 209, 211 (1990).  There are           
          two types of affected items.  Id.                                           
               The first type of affected item is a computational                     
          adjustment made to record the change in a partner's tax liability           
          resulting from the proper treatment of partnership items.  Sec.             
          6231(a)(6); White v. Commissioner, supra.  Once partnership level           
          proceedings are completed, respondent is permitted to assess a              
          computational adjustment against a partner without issuing a                
          notice of deficiency.  Sec. 6230(a)(1); N.C.F. Energy Partners v.           
          Commissioner, 89 T.C. 741, 744 (1987); Maxwell v. Commissioner,             
          supra at 792 n.9.                                                           
               The second type of affected item is one that is dependent on           
          factual determinations to be made at the partner level.  N.C.F.             
          Energy Partners v. Commissioner, supra at 744.  Section                     
          6230(a)(2)(A)(i) provides that the normal deficiency procedures             
          apply to affected items that require determinations at the                  
          partner level.  The additions to tax for negligence and                     
          substantial understatement at issue in this case are examples of            
          such affected items.                                                        
               The Court may not adjudicate computational adjustments in an           
          affected items proceeding.  Bradley v. Commissioner, 100 T.C.               
          367, 371 (1993); Saso v. Commissioner, 93 T.C. 730 (1989);                  
          Maxwell v. Commissioner, supra at 788; Palmer v. Commissioner,              
          T.C. Memo. 1992-352, affd. without published opinion 4 F.3d 1000            





Page:  Previous  1  2  3  4  5  6  7  8  9  10  11  12  13  Next

Last modified: May 25, 2011