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In this episode, Dominique breaks down a Tax Court case where the IRS was sanctioned by the court for backdating documents used to impose a penalty.
Here’s what happened:
The IRS proposed a $15 million penalty against a partnership involved in a syndicated conservation easement.
Under IRC §6751(b), penalties must receive written supervisory approval before they are assessed.
The IRS agent failed to obtain that approval in time.
When the oversight was discovered, a supervisor called it a “HUGE oversight” in an internal email.
The approval was then backdated seven months to make it appear compliant.
IRS attorneys continued to rely on that date in court.
Tax Court Judge Christian Weiler was not impressed.
The judge sanctioned the IRS for acting in bad faith and ordered the agency to pay the taxpayer’s legal fees and expenses.
The debate over syndicated conservation easements (SCEs) has become one of the biggest tax enforcement battles of the last decade.
The IRS labeled these transactions abusive and launched an aggressive crackdown beginning in 2016.
But according to analysis cited in Tax Notes, when Tax Court judges have ruled on valuation disputes in these cases:
Approximately 81% of reported deductions were upheld.
That doesn’t mean abuse didn’t occur.
It did.
But it also means the legal landscape is far more complex than headlines suggest.
Dominique discusses:
The role of backdating in the Jack Fisher conservation easement case
The IRS sanctions in Lakepoint Land II LLC v. Commissioner
Internal emails suggesting document manipulation
Why Section 6751(b) exists
The pressure inside IRS enforcement campaigns
The risks when procedure gives way to outcomes
Follow Tax Crime Junkies for updates and new episodes:
Instagram: @TaxCrimeJunkies
By Dominique Molina4.4
2828 ratings
In this episode, Dominique breaks down a Tax Court case where the IRS was sanctioned by the court for backdating documents used to impose a penalty.
Here’s what happened:
The IRS proposed a $15 million penalty against a partnership involved in a syndicated conservation easement.
Under IRC §6751(b), penalties must receive written supervisory approval before they are assessed.
The IRS agent failed to obtain that approval in time.
When the oversight was discovered, a supervisor called it a “HUGE oversight” in an internal email.
The approval was then backdated seven months to make it appear compliant.
IRS attorneys continued to rely on that date in court.
Tax Court Judge Christian Weiler was not impressed.
The judge sanctioned the IRS for acting in bad faith and ordered the agency to pay the taxpayer’s legal fees and expenses.
The debate over syndicated conservation easements (SCEs) has become one of the biggest tax enforcement battles of the last decade.
The IRS labeled these transactions abusive and launched an aggressive crackdown beginning in 2016.
But according to analysis cited in Tax Notes, when Tax Court judges have ruled on valuation disputes in these cases:
Approximately 81% of reported deductions were upheld.
That doesn’t mean abuse didn’t occur.
It did.
But it also means the legal landscape is far more complex than headlines suggest.
Dominique discusses:
The role of backdating in the Jack Fisher conservation easement case
The IRS sanctions in Lakepoint Land II LLC v. Commissioner
Internal emails suggesting document manipulation
Why Section 6751(b) exists
The pressure inside IRS enforcement campaigns
The risks when procedure gives way to outcomes
Follow Tax Crime Junkies for updates and new episodes:
Instagram: @TaxCrimeJunkies

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