Anschutz Company v. CIR, No. 11-9001 (10th Cir. 2011)
Annotate this CasePetitioners Anschutz Company and Philip and Nancy Anschutz appealed a Tax Court decision to hold them responsible for substantial income tax deficiencies for the taxable years 2000 and 2001. Those deficiencies, the Tax Court concluded, resulted from their failure to recognize taxable gain when a subsidiary of the Anschutz Company entered into a series of related agreements that included a variable prepaid forward contract for the sale of certain shares of stock and accompanying share-lending agreements. Finding no error in the Tax Court's decision, the Tenth Circuit affirmed.
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