Hart Foundation - Page 9




                                        - 9 -                                          

          cases, we held that the administrative record upon which the case            
          was to be decided did not contain enough evidence to support a               
          finding that the taxpayer met the operational test of section                
          1.501(c)(3)-1(c), Income Tax Regs.  We also noted that each of               
          the taxpayers had failed to prosecute its case properly,                     
          including the fact that none of the taxpayers had filed a brief,             
          as ordered by the Court and required by Rule 151, or had                     
          explained its failure to do so.                                              
               We apply the reasoning of those cases and hold that                     
          petitioner fails to qualify for exempt status under section                  
          501(c)(3).  Accordingly,                                                     
                                                   Decision will be entered            
                                              for respondent.                          
























Page:  Previous  1  2  3  4  5  6  7  8  9  

Last modified: May 25, 2011