Tax Court Finds Taxpayer Cannot Claim a $78.5 Million Tax Shelter Loss
In Blum v. Commissioner, TC Memo 2025-18, the Tax Court addressed a dispute concerning the disallowance of a $78.5 million tax shelter loss, penalties, and the validity of notices issued by the IRS. The central issues revolved around the petitioners’ participation in a Bond Linked Issue Premium Structure (BLIPS) tax shelter, the IRS’s notification procedures, and various legal arguments raised by the Blums.
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