Louis A. Pietro and Virginia R. Pietro - Page 2




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          Code in effect for the years in issue, and all Rule references              
          are to the Tax Court Rules of Practice and Procedure.                       
                                     Background                                       
               On their Federal income tax returns, petitioners did not               
          report income, relating to 1987 through 1991, from controlled               
          foreign corporations that operated concessionaires aboard cruise            
          ships (“CFC” issue); did not report income, relating to 1990,               
          from Marne Investments, Limited (“Marne” issue); and deducted a             
          loss relating to 1991 (“loss” issue).  By notice dated March 12,            
          1997, respondent determined deficiencies, and additions to tax,             
          relating to these issues.                                                   
               Petitioners resided in Coral Gables, Florida, when they                
          filed the petition on June 6, 1997.  Before trial, the parties              
          settled the case.  Petitioners conceded that there was a $39,742            
          deficiency relating to 1990.  Respondent conceded all other                 
          issues.  Petitioners thereafter filed the motion for $15,364 of             
          litigation costs.                                                           
                                     Discussion                                       
               We may award litigation costs to petitioners if they meet              
          the statutory requirements.  See sec. 7430(b)(1), (b)(3),                   
          (c)(1)(B)(iii), (c)(4).  After concessions, the remaining issues            
          are whether respondent’s positions relating to the Marne and loss           










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