Even Though Entire Understatement Attributable to Requesting Spouse's Income, Tax Court Grants Partial Equitable Innocent Spouse Relief
The IRS had denied §6015(f) innocent spouse relief to Joseph Boyle in the case of Boyle v. Commissioner, TC Memo 2016-87 since the interest and penalties from which he sought relief were directly related to income from his sole proprietorship. But the Tax Court did not agree given the facts of the case.
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