BHC Trust - Page 2




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            60(a).2  The petition was filed with the Court in the name of                              
            petitioner by Mr. Jablonski, in his stated capacity as                                     
            petitioner’s managing director.  Petitioner is purportedly an                              
            irrevocable trust, the settlor of which is Robert Buckley.                                 
            Petitioner petitioned the Court to redetermine respondent’s                                
            determination of deficiencies of $1,254,755 and $1,168,330 in its                          
            Federal income tax for 1995 and 1996, respectively, accuracy-                              
            related penalties under section 6662(a) of $250,951 and $233,666,                          
            respectively, and a $250,951 addition to tax for 1995 under                                
            section 6651(a).                                                                           
                  On June 27, 2000, we ordered petitioner to respond to                                
            respondent’s motion by July 11, 2000, setting forth in its                                 
            response its position as to the motion and attaching any                                   
            pertinent documents in support of its position.  We ordered                                
            petitioner to list in its response the name of its trustee and a                           
            list of its assets and liabilities as of the date of the                                   
            response.  We ordered petitioner to attach to its response a copy                          
            of the trust instrument(s) under which it has operated on or                               
            after the date of the petition.  We admonished petitioner that we                          
            might dismiss its case if it did not comply fully with our order.                          




            2 Rule references are to the Tax Court Rules of Practice and                               
            Procedure.  Section references are to the Internal Revenue Code                            
            in effect for the years in issue.                                                          





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