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Tax Controversy Updates: Overstatement of basis does not trigger six year statute of limitations
Recently the U.S. Tax Court ruled that an overstatement
of basis is not an omission from gross income for purposes of the extended
period of limitations under Section 6501(e)(1)(A). Beard et ux. v. Commissioner,
TCM 2009-184 (August 11, 2009).
In this case, the taxpayer sold his stock in
two Subchapter S corporations (“S corporations”) to an unrelated third party in 1999 and timely
filed his 1999 return on April 11, 2000. On April 13, 2006 the IRS issued a
notice of deficiency reducing the taxpayer’s basis in the S corporations
by $12,160,000, thus increasing the capital gain from the sale by that amount.
The taxpayer filed a motion for summary judgment,
on the ground that the notice of deficiency was issued after the period of
limitations had expired. The taxpayer’s
position was that an overstatement of basis is not an omission from gross income
for purposes of the extended period of limitations under Section 6501(e)(1)(A).
The general rule for the statute of limitations on assessment is set forth
in IRC Section 6501(a), which requires the IRS to assess tax within three years
of the time the federal income tax return is filed. IRC Section 6501(e)(1)(A)
extends the statute of limitations on assessment to six years if there is an
undisclosed omission from gross income in excess of twenty five percent. In
the case of business property, IRC Section 6501(e)(1)(A)(i) provides that gross
income means amount received prior to deduction of cost of goods sold. For
non-trade or business property, the predominant judicial view is that overstatement
of basis is not an omission of income.
In this case, the Court relied on Colony, Inc.
v. Commissioner, 357 U.S. 28 (1958) and Bakersfield Energy Partners, LP v.
Commissioner, 568 F.3d 767 (9th
Cir. 2009) in holding that the taxpayer’s overstatement of basis in the
S corporations’ stock did not constitute an omission from gross income
for purposes of the extended period of limitations under Section 6501(e)(1)(A).
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