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AFFIRMED: IRC, ERISA DIFFER ON DEFINITION OF FIDUCIARY, DISQUALIFIED PERSON.

NOV. 16, 2001

Flahertys Arden Bowl Inc. v. Comm.

DATED NOV. 16, 2001
DOCUMENT ATTRIBUTES
  • Case Name
    FLAHERTYS ARDEN BOWL, INC., Appellant, v. COMMISSIONER OF INTERNAL REVENUE, Appellee.
  • Court
    United States Court of Appeals for the Eighth Circuit
  • Docket
    No. 01-1158
  • Judge
    per curiam
  • Cross-Reference
    Flahertys Arden Bowl Inc. v. Commissioner, 115 T.C. No. 19 (Sept. 25,

    2000) (For a summary, see Tax Notes, Oct. 2, 2000, p. 80; for the

    full text, see Doc 2000-24670 (17 original pages), 2000 TNT 187-15,

    or H&D, Sept. 26, 2000, p. 3123.)
  • Parallel Citation
    271 F.3d 763
    2001-2 U.S. Tax Cas. (CCH) P50,770
    88 A.F.T.R.2d (RIA) 2001-6850
    Pens. Plan Guide (CCH) P 23976K
    2001 U.S. App. LEXIS 24557
  • Code Sections
  • Subject Area/Tax Topics
  • Index Terms
    pension plans, prohibited transactions
    ERISA
  • Jurisdictions
  • Language
    English
  • Tax Analysts Document Number
    Doc 2001-28854 (2 original pages)
  • Tax Analysts Electronic Citation
    2001 TNT 223-72

Flahertys Arden Bowl Inc. v. Comm.

                   UNITED STATES COURT OF APPEALS

 

                       FOR THE EIGHTH CIRCUIT

 

 

               APPEAL FROM THE UNITED STATES TAX COURT

 

 

                     Submitted: October 15, 2001

 

                      Filed: November 16, 2001

 

 

     Before Bowman, Bright, and Hansen, Circuit Judges.

 

 

PER CURIAM.

[1] Flahertys Arden Bowl, Inc. (Taxpayer), appeals from the decision of the Tax Court, 1 Flahertys Arden Bowl, Inc. v. Comm'r, 115 T.C. 269 (2000), granting judgment to the Commissioner of the Internal Revenue Service on the Commissioner's claim that Taxpayer failed to file excise tax returns and pay the required taxes in 1993 and 1994. 2 The Tax Court held that Taxpayer was subject to tax liability under I.R.C. § 4975(a) (1988) as a result of loans made to Taxpayer from two pension funds of which Patrick F. Flaherty, an officer of Taxpayer who owned more than fifty per cent of the common stock, was a beneficiary and for which he was a fiduciary. Taxpayer argues that it was not liable for the tax because Flaherty, who is indeed a "fiduciary" under the Tax Code definition of that term, see id. § 4975(e)(3) (1988), is excepted from that definition by a section of ERISA 3 codified in Title 29 (Labor), 29 U.S.C. § 1104(c) (1988), that modifies the Tax Code's definition.

[2] In a thorough opinion, the Tax Court rejected Taxpayer's position. We affirm based on that court's well-reasoned opinion. See 8th Cir. R. 47B. We agree with the Tax Court that I.R.C. § 4975(e)(3) is controlling and is not modified by 29 U.S.C. § 1104(c). Taxpayer also appeals from the Tax Court's denial of its motion for reconsideration. We affirm the Tax Court's decision, particularly in view of the decision in Hillman v. IRS, 250 F.3d 228 (4th Cir.), on reh'g, 263 F.3d 338 (4th Cir. 2001), which reverses the tax court decision upon which Taxpayer's argument for reconsideration relies.

     A true copy.

 

 

          Attest:

 

 

             Clerk, U.S. Court Of Appeals, Eighth Circuit.

 

FOOTNOTES

 

 

1 Honorable Howard A. Dawson, Jr., adopting the opinion of the special trial judge, Honorable Carleton D. Powell.

2 The Tax Court, however, rejected the Commissioner's decision that Taxpayer was liable for additions to tax under I.R.C. § 6651(a)(1) (1988).

3 Employee Retirement Income Security Act of 1974, Pub. L. No. 93-406, 88 Stat. 829 (codified as amended at 29 U.S.C. §§ 1001-1461 and in scattered sections of 26 U.S.C.).

 

END OF FOOTNOTES
DOCUMENT ATTRIBUTES
  • Case Name
    FLAHERTYS ARDEN BOWL, INC., Appellant, v. COMMISSIONER OF INTERNAL REVENUE, Appellee.
  • Court
    United States Court of Appeals for the Eighth Circuit
  • Docket
    No. 01-1158
  • Judge
    per curiam
  • Cross-Reference
    Flahertys Arden Bowl Inc. v. Commissioner, 115 T.C. No. 19 (Sept. 25,

    2000) (For a summary, see Tax Notes, Oct. 2, 2000, p. 80; for the

    full text, see Doc 2000-24670 (17 original pages), 2000 TNT 187-15,

    or H&D, Sept. 26, 2000, p. 3123.)
  • Parallel Citation
    271 F.3d 763
    2001-2 U.S. Tax Cas. (CCH) P50,770
    88 A.F.T.R.2d (RIA) 2001-6850
    Pens. Plan Guide (CCH) P 23976K
    2001 U.S. App. LEXIS 24557
  • Code Sections
  • Subject Area/Tax Topics
  • Index Terms
    pension plans, prohibited transactions
    ERISA
  • Jurisdictions
  • Language
    English
  • Tax Analysts Document Number
    Doc 2001-28854 (2 original pages)
  • Tax Analysts Electronic Citation
    2001 TNT 223-72
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