PETER J. BRESSON, TRANSFEREE, PETITIONER
v.
COMMISSIONER OF INTERNAL REVENUE, RESPONDENT
United States Tax Court.https://leagle.com/images/logo.png
Filed August 19, 1998.
Filed August 19, 1998.
Attorney(s) appearing for the Case
Willard D. Horwich, for petitioner.
Robert H. Schorman, Jr., for respondent.
United States Tax Court.
JACOBS, Judge:
By means of a notice of transferee liability dated August 2, 1996, respondent determined that petitioner is liable under section 6901 as a transferee of property from Jaussaud Enterprises, Inc. (hereinafter referred to as Jaussaud Enterprises or the corporation), for unpaid Federal corporate income taxes and additions to tax due from Jaussaud Enterprises, as follows:
...
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