Dale L. Oyer, Transferee, et al. - Page 2

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          cases.  The issue for decision is whether respondent may proceed            
          with collection of petitioners’ transferee tax liabilities.                 
               Summary judgment is intended to expedite litigation and                
          avoid unnecessary and expensive trials.  Fla. Peach Corp. v.                
          Commissioner, 90 T.C. 678, 681 (1988).  Summary judgment may be             
          granted where there is no genuine issue of any material fact and            
          a decision may be rendered as a matter of law.  Rule 121(a) and             
          (b);2 see Sundstrand Corp. v. Commissioner, 98 T.C. 518, 520                
          (1992), affd. 17 F.3d 965 (7th Cir. 1994); Zaentz v.                        
          Commissioner, 90 T.C. 753, 754 (1988).  The moving party bears              
          the burden of proving that there is no genuine issue of material            
          fact, and factual inferences will be read in a manner most                  
          favorable to the party opposing summary judgment.  Dahlstrom v.             
          Commissioner, 85 T.C. 812, 821 (1985); Jacklin v. Commissioner,             
          79 T.C. 340, 344 (1982).  When a motion for summary judgment is             
          made and properly supported, the adverse party may not rest upon            
          mere allegations or denials of the pleadings but must set forth             
          specific facts showing that there is a genuine issue for trial.             
          Rule 121(d).                                                                
               As discussed below, on the basis of our review of the                  
          record, we conclude that there is no dispute as to a material               



               2 Unless otherwise indicated, all Rule references are to the           
          Tax Court Rules of Practice and Procedure, and all section                  
          references are to the Internal Revenue Code, as amended.                    





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