Provisions of special application to transferees

United States Code

Section: 6902

Jurisdiction: US

Bluebook Citation: 26 U.S.C. § 6902


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How this statute sits in the citation network, derived from CiteLaw's graph of published opinions.

Frequently CitedTop 17% most-cited · cited by 12 decisions
12
Citing decisions
6+
Courts citing

Citations by decade

1
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5
1960s1980s2000s2010s

Courts citing this statute

9th Cir.4
1st Cir.2
2d Cir.1
4th Cir.1
8th Cir.1
Bankr. M.D. Fla.1
Most recently cited by10
  • 2015Andrew v. United States M.D.N.C.
  • 2014Schussel v. Werfel 1st Cir.
  • 2013Wilson v. Commissioner 9th Cir.
  • 2013Frank Sawyer Trust of May 1992 v. Commissioner 1st Cir.
  • 2012Starnes v. Commissioner 4th Cir.
  • 2007Thompson v. United States N.D. Ala.
  • 2004McGraw v. Commissioner 8th Cir.
  • 2001Espinosa v. Commissioner 9th Cir.
  • 2000Pert v. United States (In re Pert) Bankr. M.D. Fla.
  • 1987Edelson v. Commissioner 9th Cir.

Counts reflect decisions in the CiteLaw corpus and may lag very recent opinions.


Text

In proceedings before the Tax Court the burden of proof shall be upon the Secretary to show that a petitioner is liable as a transferee of property of a taxpayer, but not to show that the taxpayer was liable for the tax. Upon application to the Tax Court, a transferee of property of a taxpayer shall be entitled, under rules prescribed by the Tax Court, to a preliminary examination of books, papers, documents, correspondence, and other evidence of the taxpayer or a preceding transferee of the taxpayer’s property, if the transferee making the application is a petitioner before the Tax Court for the redetermination of his liability in respect of the tax (including interest, additional amounts, and additions to the tax provided by law) imposed upon the taxpayer. Upon such application, the Tax Court may require by subpoena, ordered by the Tax Court or any division thereof and signed by a judge, the production of all such books, papers, documents, correspondence, and other evidence within the United States the production of which, in the opinion of the Tax Court or division thereof, is necessary to enable the transferee to ascertain the liability of the taxpayer or preceding transferee and will not result in undue hardship to the taxpayer or preceding transferee. Such examination shall be had at such time and place as may be designated in the subpoena. (Source: (Aug. 16, 1954, ch. 736, 68A Stat. 843; Pub. L. 94–455, title XIX, § 1906(b)(13)(A), Oct. 4, 1976, 90 Stat. 1834.))

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