No Actual Tax Partnership Existed, All Income Taxable to Entity That Per Agreement Was to Receive 30% of Income

In the case of DJB Holding Corporation v. Commissioner, 116 AFTR 2d ¶ 2015-5313, CA9, the Ninth Circuit Court of Appeals upheld a Tax Court decision that since no partnership existed, the entire income that had been reported on the partnership return should instead be reported on the return of the claimed 30% partner of the operation, a C corporation.

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