Tax Court Grants Equitable Relief in Zaheen: Analysis of Section 6015(f) Amidst Spousal Abuse and Financial Control
In the recent decision of Zaheen v. Commissioner, T.C. Memo. 2026-7, the United States Tax Court addressed the complexities of equitable relief under Internal Revenue Code section 6015(f). The case highlights the significant weight the Court places on substantiation of spousal abuse and financial control when evaluating a requesting spouse’s eligibility for relief from joint and several liability. For tax professionals, the opinion provides a critical examination of how the "reason to know" standard interacts with the exceptions provided in Revenue Procedure 2013-34, particularly when the underlying income technically originates from the requesting spouse’s assets.
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